document resume - eric · document resume. se 047 711. alternatives to animal use in research and...
TRANSCRIPT
ED 278 547
TITLE
INSTITUTION
PUB DATENOTEAVAILABLE FROM
PUB TYPE
EDRS PRICEDESCRIPTORS
IDENTIFIERS
DOCUMENT RESUME
SE 047 711
Alternatives to Animal Use in Research and Testing.Hearing before the Subcommittee on Science, Researchand Technology of the Committee on Science andTechnology. House of Representatives, Ninety-NinthCongress, Second Session.Congress of the U.S., Washington, D.C. HouseCommittee on Science and Technology.6 May 86171p.; No. 130. Document contains small print.Superintendent of Documents, U.S. Government PrintingOffice, Washington, DC 20402.Legal/Legislative/Regulatory Materials (090)
MF01/PC07 Plus Postage.*Animals; Ethics; Experiments; *Hearings; *LaboratoryAnimals; *Laboratory Procedures; Medical Research;*Research and Development; Science and Society;Science Education; Scientific Research*Animal Welfare; *Congress 99th
ABSTRACTPerspectives, policy issues, and options for
Congressional action that relate most directly to the development andimplementation of alternatives 'to animal use in research and testingare addressed in this report. Testimonies and reports include thosefrom the Office of Technology Assessment, the National Institute ofHealth, and the Food and Drug Administration. Discussion focused onthe prospects for raplacing, reducing, and refining animal use.Alternatives identified include: (1) continued but modified use ofanimals; (2) use of living systems particularly the in-vitro cultureof cells, tissues and organs; (3) use of nonliving systems that mimicbiological functions; and (4) computer programs. (ML)
* Reproductions supplied by EDRS are the best that can be madefrom the original document.
**********************************************************************
ALTERNATIVES TO ANIMAL USE IN RESEARCH AND
TESTING
HEARINGBEFORE THE
SUBCOMMITTEE ON141 SCIENCE, RESEARCH ANID TECHNOLOGYc0
OF THE
COMMITTEE ONt=iSCIENCE AND TECHNOLOGY
HOUSE OF REPRESENTATIVESNINETY-NINTH CONGRESS
SECOND SESSION
MAY 6, 1986
[No. 130]
Printed for the use of theCOmmittee on Science and Technology
U.S. GOVERNMENT PRINTING OFFICE62-914 0 WASHINGTON : 1986
,..
U.S. DEPARTMENT CF EDUCATIONOffice of Educational Research and Improvement
DUCAT1ONAL RESOURCES INFORMATIONCENTER (ERIC)
This document has bean reproduced asreceived from the person or organicationoriginating it.
0 Minor changes have been made to improvereproduction quality.
Points of view or opinions stated in this docu-ment do not necessarily represent officialOERI position or policy.
For sale by the Superintendent of Documents, tongreesiesal Sales OfliceU.S. tiovernment Printing Office, Washington, tIC 20402
staiPrAVAILABLE1.
COMMITTEE ON SCIENCE AND TECHNOLOGY
DON FUQUA, Florida, Chairman
ROBERT A. ROE, New JerseyGEORGE E. BROWN, JR., CaliforniaJAMES H. SCHEUER, New YorkMARILYN LLOYD, TennesseeTIMOTHY E. WIRTH, ColoradoDOUG WALGREN, PennsylvaniaDAN GLICKMAN, KansasROBERT A. YOUNG, MissouriHAROLD L. VOLKMER, MissouriBILL NELSON, FloridaSTAN LUNDINE, New YorkRALPH M. HALL, TexasDAVE McCURDY, OklahomaNORMAN Y. MINETA, CaliforniaMICHAEL A. ANDREWS, TexasBUDDY MAcKAY, Florida"TIM VALENTINE, North CarolinaHARRY M. REID, NevadaROBERT G. TORRICELLI, New JerseyRICK BOUCHER, VirginiaTERRY BRUCE, IllinoisRICHARD H. STALLINGS, IdahoBART GORDON, TennesseeJAMES A. TRAF'r'ANT, JR., Ohio
HAROLD P. HANSON, Executive DirectorROBERT C. KETCHAM, General Counsel
REGINA A. DAVIS, Chief ClerkJoyce GROSS FREIWALD, Republican Staff Director
MANUEL LUJAN, JR., New Mexico"ROBERT S. WALKER, PennsylvaniaF. JAMES SENSENBRENNER, JR.,
WisconsinCLAUDINE SCHNEIDER, Rhode IslandSHERWOOD L. BOEHLERT, New YorkTOM LEWIS, FloridaDON RITTER, PennsylvaniaSID W. MORRISON, WashingtonRON PACKARD, CaliforniaJAN MEYERS, KansasROBERT C. SMITH, New HampshirePAUL B. HENRY, MichiganHARRIS W. FAWELL, IllinoisWILLIAM W. COBEY, JR., North CarolinaJOE BARTON, TexasD. FRENCH SLAUGHTER, Ja., VirginiaDAVID S. MONSON, Utah
SUBCOMMIWEE ON SCIENCE, RESEARCH AND TECHNOLOGY
DOUG WALGREN,STAN LUNDINE, New YorkNORMAN Y. MINETA, CaliforniaGEORGE E. BROWN, JR., CaliforniaTIMOTHY E. WIRTH, ColoradoTERRY BRUCE, IllinoisTIM VALENTINE, North Carolina
Pennsylvania, ChairmanSHERWOOD L. BOEHLERT, New YorkDON RITTER, PennsylvaniaPAUL B. HENRY, MichiganWILLIAM W. COBEY, JR., North Carolina
Rankizg Republican Member."Serving on Committee on the Budget for 99th Congress.
3
'A l'AVA ? -ft T27-190 1
CONTENTS
WITNESSES
May 6, 1986: PageDr. Gary B. Ellis, Project Director, Biological Applications Pregram,
Office of Technology Assessment 2Dr. James D. Willett, Director, Biomedical Models and Materials Re-
sr..,urce Section, National Institutes of Health; Dr. David P. Ball, Direc-tor, National Institute of Environmental Health Service, NIH, ChapelHill, NC; and Dr. Gerald Guest, Director, Center for Veterinary Medi-cine, Food and Drug Administration 31
Appendix: Letter to Mr. Walgren from John A. Moore, Assistant Adminstra-tor for Pesticides and Toxic Substances 165
ALTERNATIVES TO ANIMAL USE IN RESEARCHAND TESTING
TUESDAY, MAY 6, 1986
HOUSE OF REPRESENTATIVES,COMMITTEE ON SCIENCE AND TECHNOLOGY,
SUBCOMMITTEE ON SCIENCE, RESEARCH AND TECHNOLOGY,Washington, DC.The subcommittee met, iiursuant to call, at 10 a.m., in room2325, Rayburn House Office Building, Hon. Doug Walgren (chair-man of th.e subcommittee) presiding.
Mr. WALGREN. Well, let me welcome you all to our hearingtoday. As you know this hearing will be focused on alternatives toanimal use in research and testing, an area that has been of realinterest to me and to other members of the committee for anumber of years, ever since the Science, Research and TechnologySubcommittee did some hearings on proposals for laboratoryanimal standards and the like, a number of years ago, and followedon with interest in the NM bill in the Subcommittee of Energyand Commerce, that is involved in that.As you all know, it is an area of developing possibilities, and onewhich we really want to keep 'thinking about, and keep on the fore-front of our minds, because we don't want to miss those possibili-ties when they come along. The subject has had considerable atten-tion for these several years, both because alternatives are economi-cally attractive to the degree that they are less expensive for thosewho are involved in multiple testing; at the same time, some alter-natives, we believe, have a certain degree of certainty about themthat makes them more accurate than some animal testing in cer-tain areas.There also has been a developing and very real sensitivity in thepublic, and with signs of that certainly in the scientific communityas well, that we want to be sure that we are as sensitive in ourdealings with other living things as we possibly can be, and thatthere clearly must be a real justification for any of the pain andsuffering, and consumption of animals that our society engages in.So there has been a gathering current of interest in finding alter-natives for the use of animals in research, where possible.We know that there are promising things that are happening.There have been reports that at the University of Michigan somepeople are experimenting with developing skins cells from volun-teer donations, that can then be worked with in a way that can beused as a nonanimal, certainly, in that case a human being, fortesting to show how skin reacts to toxins and the like.
(1)
2
Johns Hopkins, as we all know, has been working for severalyears with some funds from the private sector to try to develop analternative to the Draize test. So these things are going on, andthis committee wants to encourage that in any way that we can.
We have today, several witnesses who can bring us up to date onwhat the .Federal Government is involved in, in attempting to de-velop and implement new methods that may not use animals, oruse fewer animals, or cause less pain. There was, as you know, therecent OTA report "Alternatives to Animal Use in Research Test-ing and Education," which summarized the landscape as it seemsto presently lie.
We have Dr. Gary Ellis, who was the project director for thatreport. He will start off with a summary of the ground that it cov-ered.
We then will have a government panel, including Dr. James Wil-lett, the Director of the Section on B: iomedical Models and Materi-als Resources, that is a recently formed office in the National Insti-tutes of Health, Division of Research Resources. He will be joinedby Dr. David Rall, Director of National Institute of EnvironmentalHealth Services, which is also a a part of the NIH from ChapelHill, NC; and Dr. Gerald Guest, Director, Center of VeterinaryMedicine, for the Food and Drug Administration, who is accompa-nied by Elaine Heber, Director of the Office of Biologics Researchand Review, Center for ,1:11rugs and Biologics, at the FDA.
Then after that we want to hear from Dr. Alan Goldberg, the di-rector of the Johns Hopkins Center for Alternatives to AnimalTesting, who will describe their program and give tlt3 some viewsfrom that perspective.
The. thing I want to emphasize is that this should be an area ofcontinuing discussion between the people that are involved in it.This, committee is going to be very interested, and we see this asone of several hearings that we hope will keep the Governmentcontribution focused on these developments as they happen withinthe Government and outside the Government; and certainly theCongress as a forum for the kinds of discussions that ought to takeplace, I think we an makea contribution in that area.
With that, why don't we _proceed then, and call first Gary Ellisthe project director of the OTA report.
Welcome to the committee and your written statements will bemade a part of the record. Please feel free to underscore or outlinein whatever way is most effective to focus our thoughts in our dis-cussions. We appreciate your being here, and look forward to yourtestimony.
STATEMENT OF DR. GARY B. ELLIS, PROJECT DIRECTOR, BIOLOG-ICAL APPLICATIONS PROGRAM, OFFICE OF TECIIINOLOGY AS-SESSMENT
Dr. Buds. Thank you, Mr. Chairman.Mr. WALGIUSN. I ought to mention that Congressman Boehlert,
who is the ranking minority member on this committee, is overbefore Appropriations Subcommittee at this point, but will be join-ing us wlaen he is free from that responzibility. So we will look for-ward to that.
6
Dr. Ellis.Dr. ELus Thank you. I am Gary Ellis of the Office of TechnologyAssessment, and I served as the project director for the recent OTAstudy to which you referred.This morning I will first give a brief overview of the OTA reportand then describe its principal fmdings. I will focus upon optionsfor congressional action toward development and implementationof alternatives to animal use.At the outset of the OTA study, it quickly became apparent thatanimal use in scientific experiments is not monolithic. There arethree different broad areas of animal use: Research and biomedi-cine and behavior; testing for toxicity; and education in the life sci-ences.The three are characterized by different procedures, differentpatterns of funding, different people carrying out the work, differ-ent motivations for animal use, and not surprisingly, different po-tential for alternatives to anima': use. That really is the principalfinding of the OTA report. The prospects for replacing, reducing,and refining animal are highly variable from application to appli-cation.For most areas of scientific experimentation, totally replacinganimal use with nonanimal methods, especially in the short term,is not likely. However, even if animals cannot be replaced in cer-tain experiments, researchers can attempt to reduce the numberused and also to minimize pain and distress.Research, and to a lesser degree, testing, will continue to requirelive animals for observing complex inthzactions of cells, tissues andorgans.In testing, some whole animal methods are being replaced bynonanimal methods, as the new tests are validated. Federal regula-
tory agencies have recently indicted a willingness to accept datafrom alternative test methods.In education, far fewer animals are used than in research andtesting.Computer simulations of living systems can replace or comple-ment some animal use, particularly in education. However, use ofanimals is a prerequisite to the developmen'z of every more sophis-ticated computer simulations.Reduction in numbers of animals used is also a principal alterna-tive, but data currently available on animal use are very poor. Anyestimate of animal use stands a rough approximation.The best available data suggest a minimum of 17 to 22 millionanimals are used annually in the United States for experimenta-tion. Rats and mice account for about 75 percent of those animals.Data are too poor to permit any defmitive statement about trendsin animal use through recent years.Federal regulation of animal use in research and testing facili-
ties occurs chiefly under the Animal Welfare Act, the Health Re-search Extension Act, rules of the EPA and FDA on good laborato-ry and the policies or the Public Health Service and theNIH. The Animal Welfare Act is applied to dogs, cats, rabbits,guinea pigs, hamsters, and nonhuman primates, but not to rats andmice, the most common laboratory animals.
7
4
At the State level, most laws focus on matters such as procure-ment of animals rather than the actual conduct of experiments. In-stitutional and self-regulation occur by local review committees,that include lay members, and whose purview is expanding beyondtraditional concerns of animal care to include aspects of animaluse. The overwhelming majority of animal users are, or will soonbe, subject to local committee oversight.
With that review of OTA fmdings as background, I will now ad-dress the development and implementation of alternatives.
In general terms, alternatives fall into one of four categories:First, the continued, but modified, use of animals, including a re-duction in the number of animals used, improved experimentaldesign and statistical analysis of results, and reduction of pain orexperimental insult.
Second, the use of living systems, including invertebrates, nicro-organisms, and particularly, the in vitro culture of cells, tissues,and organs.
Third, the use of nonliving systems, such as epidemiologic databases and chemical or physical systems that mimic biological func-tions.
And fourth, computer programs.The process by which these and other alternatives become ac-
cepted practice in the research and testing communities consists ofa sequence of four stages. Alternative methods are: One, developedthrough research; two, validated by independent measurements;three, gradually accepted by the scientific community; and four,implemented as they come to be relied upon or required.
Several alternatives are today in the validation or the implemen-tation phase. For the most part these methods are based upon re-ductio7.,3 and refinements in animal use. Approaches that replacethe use of animals have generally not been completely validatedand accepted; instead, these represent possibilities for the future.
Although the Federal Governmer t has not directed fundingtoward the development of alternatives per se, it supports areas ofbasic research that can lead to alternative technologies. The areasof basic research most likely to contribute to alternatives include:cell, tissue, and organ-culture technology; research in animalhealth; understanding mechanisms of pain, pain control, and painperception, and computer simulation of living systems.
Beyond support for basic research, how can the Federal Govern-ment stimulate development and implementation of alternativetechnologies?
OTA identified five options for congressional action, includingthe option of taking ne additional action. I will run through thesefive options and then explain them.
First, Congress could require a new or existing Federal entity tocoordinate the development, validation, and implementation of al-ternatives. This action would have great symbolic value within thescientific and animal welfare communities, and could acceleratethe development of alternatives. A central clearinghouse for the de-velopment of alternatives could compile and maintain records of allfederally funded research and development on alternatives. Infor-mation on R&D in the private sector would be a valuable compo-
8
5
nent of the coordination effort, though it may prove difficult toobtain.Coordinating activities could include symposia, workshops, news-letters, scholarships, grants, and the issuance of model protocols orguidelines. The coordbiating body could monitor both public andprivate initiatives. Coordination could further involve identifyingresearch areas likely to lead to new alternatives, and reviewingFederal support for these areas across agency lines. This latter re-sponsibility might preclude housing this entity within an existingFederal agency involved in funding R&D on alternatives, to avoideither a real or apparent conflict of interest.In February 1986, NIH created the Biological Models and Materi-als Resources Section within the NIH Division of Research Re-sources. With adequate funding, this office may serve as a focalpoint for the exchange of both biological materials and informationabout the use of model systems in biomedical research.A second option, Corgress could provide intramural and extra-mural Federal funding for the development of alternatives.Development of alternatives in testing within the Federal Gov-
ernment is a natural offshoot of, and closely allied with toxicologi-cal research. The agencies most likely to produce alternatives in re-sponse to new Federal funding are the National Toxicology Pro-gram, the National Cancer Institute, the Food and Drug Adminis-tration, and Environmental Protection Agency, the ConsumerProduct Safety Commission, and the National Institute for Occupa-tional Safety and Health.
To stimulate extramural R&D, :granting agencies reviewing in-vestigator-initiutod applications could be required to assign priorityto those that c.flitain research with promise for development ofnew alternatives. This strategy would require sufficient flexibilityto insure that valuable state-of-the-art scientific proposals that maynot involve alternatives are not handicapped.
Postdoctoral trail-iing programs could be established, along thelines of NIH's National Research Service Awards, to insure asteady supply of young researchers schooled in traditional disci-plines, ranging from molecular biology to animal behavior, disci-plines with applications in the development of alternatives.
Financial incentives to private groups developing alternativescould take the form of tax incentives, 13erhaps, tax credits in addi-tion to those already in place for R&D. Such groups could also beeligible for a new program analogous to the Small Business Innova-tion Research Program, that would target the development of alter-natives.
A third option, Congress could encourage regulatory agencies toreview existing testing guidelines and requirements and to substi-tute alternatives whenever scientifically feasible.Through oversight or legislation, Congress could encourage or re-quire Federal agencies to evaluate existing technologies and test-ing, to participate in their validation, to adopt them where appro-priate, and to report to Congress on their progress in implementing
alternatives, as the NIH is required to do by October 1, 1986, underthe Health Research Extension Act of 1985. Such agency reviewwould have to be a periodic or continuing effort, given the rapidadvances in the state of the art.
6
The fourth option, Congress could ban procedures for which al-ternatives are available or give a Federal agency authority to banprocedures as valid alternatives become available. This option rec-ognizes that prohibitions can be used to force technological. change.
Prohibiting procedures for which scientifically acceptable alter-natives are already available would accelerate the implementationof such alternatives. A ban could not only force implementation of
existing alternatives, but, over time, help focus the development of
new techniques.A disadvantage of banning a specified procedure is that the re-
placement, or the process of developing one, may be even more po-litically unacceptable, for example, the in vitro culture of humanfetal nerve cells. A prohibition also takes no account of the ques-tion of judging the scientific acceptability of an alternative.
In pursuing this option, it is important to appreciate that theswiftest adoption of alternatives may come about if regulatoryagencies avoid mandating specific testing requirements. Requiringspecified tests might actually serve as an inhibitor to the develop-ment and implementation of alternative methods. Greater flexibil-
ity is achieved when testing requirements are defined in a mannerthat allows judgment and encourages use of alternative methods.The adoption of alternatives might best be stimulated by regula-tory requirement for evaluation of a potential toxic response, muta-genicity, for example, rather than requirement of specified test for
mutagenicity.A fifth option, Congress could take no additional action. If Con-
gress takes no specific steps beyond its recent charge to NIH to es-tablish a plan for the development of alternatives in biomedical re-search, the development of alternatives will continue to be a func-
tion of ethical, political, economic, and scientific factors.That alternatives are being developed in the absence of direct
legislation is best illustrated by research centers at the RockefellerUniversity and the Johns Hopkins University, funded by corporateand private donations. In addition, corporations are undertakingwork in-house, or sponsoring it in universities, often in response toscientific, economic, animal welfare, and public relations concerns.
An uncerk:. a pace of development marks the chief disadvantageof this option. Although alternatives may emerge, changing admin-istrative, regulatory, and research priorities in both the public andprivate sectors will affect the rate of development.
Viewed from another perspective, this is an advantage. It per-mits researchera to respond to changing needs and priorities withminimal Federal interference.
In dosing, I would like to note that beyond the development andimplementation of alternative technologies, OTA identified five ad-ditional broad policy issues related to animal experimentation. Al-
though these policy issues do not explicitly address either the de-velopment or implementation of alternative methods, they are in-
extricably linked to the replacement, reduction, and refinement ofanimal use.
The five additional policy areas are: One, disseminating informa-tion about experimentation; two, restricting animal use; three,counting animals used; four, establishing a minimum policy for in-
1 0
tramural animal use within Federal agencies; and five, changingthe implementation or amending the Animal Welfare Act.I am providing material for the record to illustrate oDtions for
congressional action relative to each of these policy issues.Mr. Chairman, I commend your efforts and those of the subcom-
mittee in focusing attention in a constructive way on this often di-visive issue. I thank you for the opportunity to present OTA's anal-ysis of alternatives to animal use in research in testing.
[The prepared statement of Dr. Ellis, plus attachment follows..]
TESTIMONY OF GAILY B. ELLISOFFICE OF TECHNOLOGY ASSESSMENT
U.S. CONGRESSBEFORE THE SUBCOMMITTEE ON SCIENCE, IUMEARCH, AND TECHNOLOGY
OF THE HOUSE COMMITTER ON SCIENCE AND TECHNOLOGY
ALTERNATIVES TO ANIMAL USE IN RESEARCH AND TESTING
May 6, 1986
Thank you, Mr. Chairman. I am Gary Ellis of the Office of Technology Assessment,
and I served as the project director for OTA's study of Alternatives to Animal Use in
ResearcAlesting, and Education.
This morning, I will first give a brief overview of the OTA report and describe its
principal findings. Then, I will focus upon policy issues and options for congressional
action that relate most directly to development and Implementation of alternatives to
animal use in research and testing.
Summary and Findings of the OTA Report
At the outset of the OTA study, it quickly became apparent that there are three
distinctly different areas of animal use: research in biomedicine and behavior, testing
for toxicity, and education in the life sciences. The three are characterized by different
rrocedures, different patterns of funding, different people carrying out the work,
different motivations for animal use, and not surprisingly different potential for
alternatives to animal use.
Analogously, a principal finding of the OTA report is that the prospects for
replacing, reducing, and refining animal use are highly variable from discipline to
discipline and application to application.
For moat areas of scientific experimentation, totally replacing animal use with
nonanimal methods, especially In the short term, is not likely. However, even if animals
9
- 2 -
cannot be replaced in certain experiments, researchers can attempt to reduce the
number used and also to minimize pain end distress.
Research, and to a lesser degree, testing, will continue to require live animals for
observing complex interactions of cells, tissues, and organs. In testing, some whole
animal methods are being replaced by nonanimal methods, as the new tests are
validated. Federal regulatory agencies have recently indicateda willingness to accept
data from alternative test methods. Chick embryo membranes, for example, are a
promising alternative to rabbits' eyes for determining irritancy of chemical substarAes.
Other test methods use cells, tissues, and organs in culture, as well as chemical and
physical models. In education, far fewer animals are used than in research and testing.
Computer simulations of living systems can replace or complement some animal
use, especially in education. However, use of animals is a prerequisite to the
development of ever more sophisticated simulations. Computerized dissemination of
research and testing resulth also could reduce some animal use.
Reduction in numbers of animals used is also a principal alternative, but data
currently available on animal use are very poor. Any estimate of animal use stands as a
rough approximation. The best available data suggest a minimum of 17 to 22 million
animals are used annually in the United States for experimentation. Rats and mice
account for about 75 percent of those animals. Data are too poor to permit any
definitive statement about trends in animal use through recent years.
Ethical considerations are affecting the search for alternatives. At one end of a
broad spectrum of views is the view that humans may we animals in any way. At the
other end is the view that an animal has the right not to be used for any purpose not
directly benefiting it. People throughout the spectrum find common ground in the
principle of humane treatment, despite disagreement on exactly how the principle should
be interpreted and applied.
13
10
Federal regulation of animal use in research and testing facilities occurs chiefly
under the Animal Welfare Act, the Health Research Extension Act, rules of the
Environmental Protection Agency and the Food and Drug Administration on good
laboratory practices, and the policies of the Public Health Service and the National
Institutes of Health.1 The Animal Welfare Act is applied to dogs, cats, rabbits, guinea
pigs, hamsters, and nonhuman primates, but not to rats and mice, the most common
laboratory animals. At the state level, most laws focus on matters such as procurement
of animals rather than the actual conduct of experiments. Institutic nal and self-
regulation occur via local review committees that include lay membars and whose
purview is expanding beyond traditional concerns of animal care to include aspects of
animal use. The overwhelming majority of animal users are (or will soon be) subject to
local committee oversight.
For this study, OTA defined animals as nonhuman vertebrates: mammals, birds,
reptiles, amphibians, and fish. Other creatures customarily included as animals
invertebrates such as insects and worms are excluded by this definition. OTA did not
examine animal use in food production; harvesting organs, antibodies, and other
biological products; and sport, entertainment, and companionship. Such purposes include
numbers of animals generally estimated to be many multiples greater than the numbers
uaed for experlmentation.2
1 In 1985, Congress enacted three laws citing alternatives to animal use: the HealthProfessions Educational Assistance Amendments of 1985 (P.L. 99-129), the HealthResearch Extension Act of 1985 (P.L. 99-158), and the Food Security Act of 1985(P.L. 99-198), which amended the Animal Welfare Act.
2 An estimated 2 to 4 billion animals are used in food production every year. (Ninetypercent of those are chickens.) in addition, Americans have approximately 75 milliondogs and eats as household pets.
11
- 4 -
Development and Implementation of Alternatives
In general terms, alternatives fall into one of four categories: First, the continued,
but modifie.I. use of animals, including a reduction in the number of animals used,
improved experimental design and statistical analysis of results, and reduction of pain or
experimental insult. Second, the use of living systems, including invertebrates, micro-
organisms, and particularly the in vitro culture of cells, tissues, anu organs. Third, the
use of nonliving systems, such as epidemiologic databases and chemical or physical
systems that mimic biological functions. And, fourth, computer programs.
The process by which these and other alternatives become accepted practice in the
research and testing communities is a sequence of stages. Alternative methods are (i)
developed through research, (ii) validated by independent measurements, (iii) gradually
accepted by the scientific community, and (iv) implemented as they come to be relied
upon or required. Several alternatives are today in the validation or implementation
phase; for the most part these methods are based upon reductions and refinements in
animal use. Approaches that replace the use of animals have generally not been
completely validated and accepted; instead, these represent possibilities for the future.
Although the Federal Government has not directed funding toward the development
of alternatives per se, it supports areas of basic research that can lead to alternative
technologies. The areas of basic research most likely to contribute to alternatives
include (i) cell-, tissue-, and organ-culture technology, (ii) animal health, (iii)
understanding mechanisms of pain, pain control, and pain perception, and (iv) computer
simulation of living systems.
Beyond support for basic research, how can the Federal Government stimulate
development and implementation of alternative technologies?
15
12
- 5 -
OTA identified five options for congreslional action including the option of
taking no additional action.
Congresa could require a new or existing Federal entity tocoordinate the development, validation, and implementation ofalternatives.
Implementation of this option would have great symbolic value within the scientific
and animal welfare communities and could accelerate the development of alternatives.
A central clearinghouse for the development of alternatives could compile and maintain
records of all federally funded research and development (R&D) on alternatives.
Information on R&D in the private sector would be a valuable component of the
coordination effort, though it may prove difficult to obtain.
Coordinating activities could include symposia, workshops, newsletters,
scholarships, grants, and the issuance of model protocols or guidelines. The coordinating
body could monitor both public and private initiatives. Coordination could further
involve identifying research areas likely to lead to new alternatives and reviewing
Federal support for those areas across agency lines. The latter responsibility might
preclude housing this entity within an existing Federal agency involved in funding R&D
on alternatives to avoid either a real or apparent conflict of interest.
In February 1985, the National Institutes of Health (NIH) created the Biological
Models and Materials Resources Section within the NIH Division of Research Resources.
With adequate funding, this office may serve as a focal point for the exchange of both
biological materials and information about the use of model systems in biomedical
research.
16
13
- 6 -
Congress could provide intramural and extramural Federalfunding for the tlevelopment of alternatives.
Development of alternatives in testing within the Federal Government is a naturaloffshoot of and closely allied with toxicological research. The agencies most likely toproduce alternatives in response to new Federal funding are the National Cancer
Institute, the Food and Drug Administration, the Environmental Protection Agency, the
Consumer Product Safety Commission, and the National Institute for Occupational
Safety and Health.
To stimulate extramural R&D, granting agencies reviewinz investigator-initiated
applications could be required to assign priority to those that contain researcb with
promise for development of new alternatives. This strategy would require sufficient
flexibility to ensure that valuable, state-of-the-art scientific proposals that may not
involve alternatives are not handicapped. Postdoctoral training programs could be
established, along the lines of NIH's National Research Service Awards, to ensure a
steady supply of young researchers schooled in traditional disciplines, ranging from
molecular biology to animal behavior, with applications in the development of
alternatives.
Financial incentives to private groups developing alternatives could take the formof tax incentives perhaps tax credits in addition to those already in place for R&D.
Such groups could also be eligible for a new program (analogous to the Small Business
innovation Research program) that would target the development of alternatives.
Congress could encourage regulatory agencies to reviewexisting testing guidelines and requirements and to substitutealternatives whenever scientifically feasible.
Through oversight or legislation, Congress could enztourage or require Federal
agencies to evaluate existing alternatives in testing, to participate in their validation, to
14
- 7 -
adopt them where appropriate, and to report to Congress on their progress in
implementing alternatives, as the NIH is required to do by October 1, 1986 (Public Law
99-158). Such agency'review would have to be a periodic or continuing effort, given
rapid advances in the state of the art.
Some review of testing guidelines now occurs in keeping requirements up to date,
although the purpose of that review is probably to improve the science rather than to
protect animals per se. The costs of agency review should be moderate, entailing input
from agency experts, comment frc n outside experts, and publicstion. If Federal
laboratories were involved in the validation of alternative testing methods, additional
costs would be incurred.
Congress could ban procedures for which alternatives areavailable, or Tive a Federal agency authority to ban proceduresas valid alternatives become available.
This option recognizes that prohibitions can be used to force technological
change. Prohibiting procedures for which scientifically acceptable alternatives are
already available would accelerate the implementation of such alternatives. A ban could
not only force implementation of existing alternatives, but, over time, help focus the
development of new techniques.
A disadvantage of banning a specified procedure is that the replacement, or the
process of developing one, may be even more politically unacceptable (e.g., the in vitro
culture of human fetal nerve cells). A prohibition also takes no account of the question
of fudging the scientific acceptability of an alternative.
In pursuing this option, it is important to appreciate that the swiftest adoption of
alternatives may come about if regulatory agencies avoid mandating specific testing
requirements. Requiring specified tests might actually serve as a strong inhibitor to the
15
- 8 -
development and implementation of alternative methods. Greater flexibility is achievedwhen testing requirements are defined in a manner that allows judgment and encouragesuse of alternate methods. The adoption of alternatives might beat be stimulated byregulatory requirement for evaluation of a potential toxic response -- mutagenicity, forexample rather than requirement of a specified test for mutagenicity.
Congress could take no further action.
If Congress takes no specific steps beyond its recent charge to NIH to establish aplan for the development of alternatives in biomedical research, the development ofalternatives will continue to be a function of ethical, Political, economic, and scientificfactors.
That alternatives are being developed in the absence of direct legislation is bestillustrated by research centersat the Rockefeller University and the Johns HopkinsUniversity, funded b orporate and private donations. In addition, corporations areundertaking work in-house or sponsoring it in universities, often in response to scientific,economic, animal welfare, and public relations concerns.
An uncertain pace of development marks the chief disadvantage of this option.Although alternatives may emerge, changing administrative, regulatory, and researchpriorities in both the public and private sectors will affect the rate of development.Viewed from another perspective, this is an advantage: it gives researchers the latitudeto exercise their own judgment in responding to changing needs and priorities.
19
16
- 9 -
In closing, I would like to note that beyond the development and implementation of
alternative technologies, OTA identified five additional broad policy issues related to
animal experimentation.Although these policy issues do no c explicitly address either the
development or implementation of alternative methods, they are inextricably linked to
the replacement, reduction, and refinement of animal use. The five additional policy
issues are:
disseminating information about animal experimentation;
restricting animal use;
counting animals used;
establishing a minimum policy for intramural animal use within Federal
agencies; and
changing the implementation of or amending the Animal Welfare Act.
I am providing matettal for the record (see Attachment.1) to illustrate options for
congressional action relative to each of these policy issues.
Mr. Chairman, I commend the Subcommittee for focusing attention in a
constructive way on this often divisive issue, and I thank you for the opportunity to
present OTA's analysis of alternatives to animal use in research and testing.
20
17
AttachTent 1
Polley lamas lieteted to Alternatives la Ardentl the yes Options Int onnpmelenst Action
Porky IssueWoo Ostinp
SIOnOttos roe eisserniseing [Pendleton (Counting .rnals I EMAblioning ROOM Changing AnimaInfoonation i mime uos 00o0 soonsnosO pone, VC silos Act
OpOcas for conprosolonol actionTao re weeCloVe rodOl Olin,
OM OstatOnonno MOloololootallon of111001110914
&Korn* altntallsoMOON In Foto,MVO niOnlroltosts
Oen plonaluno tor *OhItornOlos onVIIISOM
TO0 no sctO1
WM* Feat..soMs Nthotonlinating CMde.1160P7MI ot....M.
POO Onstoprnoot otsnornanso
Tato To anonMOO,. logy sOc011
to *OW, fundedNOM, on, oomph610
P"'"*""'"".*I testing dtliusoCatIllod toFoOral opOnetG
Rook* IlisnhooOrel.Cnbalo new da.
OrosTranslate tonspo
Miran. Intoewe.
TO* To ono/*Stria tego el onsIn
Sob ot sonnets7001100 ... 5 ,,,,,,,,,
Protocols
POMO ..9.4Mort elon.40 haw wainworm
Moog Wool orsto ansin prOtocols
sorS/o. Wes elmime.
Pronnnt annul oso
TO. no anonEllrnInos APIOS.
cans.50000, In....,.
In ocortnt OTOS.10000109 W...
Ettpand APHIS.conSus 10 lock.To .......
Est011sh InclorondotVinous
TO no sottoEstOliOlntronord
Fsclorsl pelky otIT..... s151050.
Tsko no sololanninoto NAOMI tot
Intorcornont,,,,,,,.... 110,0100 to,
ontorestrootMond lo pond
CoestO to Welt.ospornTootOon
Aso. to tonOnOnloranOnt onion
AMP. to proloVISMo SW 1000 loos
ans woo moo woo. Yon.,IOACIL ono s Toosoolf
18
Mr. WALGREN. Thank you, Dr. Ellis. In your exploration of thissubject, how would you characterize the rate of development, do
you find that there is more interest than may have been in previ-ous years; and can you tell us anything about how fast things arehappening in this area?
Dr. ELus. Most certainly there is greater interest in alternativetechnologies than in previous years. The rate of development varies
among research, testing, and education. Although the fewest ani-mals are used in education, the greatest present incorporation ofalternatives has occurred in educational uses. In testing there has
beenMr. WALGREN. Why is that?Dr. Ewa Perhaps because the nature of animal use in education
differs so fundamentally from the use in research and testing. Ineducation, animals are not generally used to develop new knowl-
edge. Animals are used, or have been used, to train students intechniques or principles of scientific thinking and these goals canlargely be accomplished through nonanimal methods.
In testing, progress has been made in developing alternativemethods because, for one, industry has an economic incentive tominimize animal use whenever it can. Animal use is very costly; it
is a labor-intensive type of endeavor, and industry has a strongprofit motive to decrease animal use. So the progress in testing hasbftn measurable.
In research, again, probably because of the nature of the re-search enterprise, progress has been most slowly. It is likely, as Isaid, that total replacement of animal use in research will notoccur in the foreseeable future.
Mr. WALGREN. How broad is the move toward nonanimal models
in education; I don't know whether there is a standard curriculumor something.like that, but has there been a substantial decrease inthe use of animals in that area over the last 10 years?
Dr. Elus. We were surprised at all levels of education, how few
animals are actually used today. I have no measurements of previ-
ous years, but I would surmise that it certainly has decreased.The Association of American Medical Colleges in conjunction
with OTA, conducted a survey, so now I am talking about use atadvance levels and the training of medical students. The surveywas conducted at 16 of the 127 accredited medical schools in theUnited States.
Different departments in the medical schools differ in what usethey make of animals. As might be expected departments of physi-ology: surgery and, I believe, pharmacology, make the greatest useof animals in training medical students.
But of the 16 schools polled, 6 departments of physiology make
no use of animals in training medical students. We were surprisedthat only 10 of 16 in that sample polled used animals in trainingmedical students in departments of physiology.
At lower levels, and ur iergraduate, and even graduate school,animal use appears to have declined for education purposes. In-
stead of each student, or a group of two students using an animal,
a class demonstration may be held. This dramatically reduces thenumber of animals used in a particular session.
22
19
New video technologies have a role here, where a very sophisti-cated computer simulation, a pictorial video simulation linked to acomputer can lead a student through a dissection exercise, whichformerly would have been done in hands-on way. So animals arespared here in education.Mr. WALGREN. What can you tell us about how that can be maxi-mized, what is causing 1 of the 10 schools that still used animals tocontinue to use them, as opposed to one of the ones that had movedto a different mechanism.Dr. ELus I think that the educators would say that they are ableto reduce animal use to a point, but beyond that point, the qualityof education training of the physicians or veterinarians wouldsuffer. The responEes that we received from the medical and veteri-nary medical schools indicated that there may be a point belowwhich further reduction may not be able to occur without sacrific-ing of education.
r. WALGREN. But assuming the six schools have not sacrificedquality education, are the others doing it just because we havealways done it that way; what is it that is the difference betweenthose schools?Dr. &us As you said, that is probably one element of it, the at-titudes of some educators. They have always done it this way; thisis the best way. They, perhaps, are not interested in replacing ani-mals. It may be--Mr. WALGREN. Are there commercial products that we could relyon being offered to these other medical schools; how could we en-courage that to happen?Dr. Elan. I can cite one product that we illustrated in the report,in a picture. This is a manikin developed at the New York StateMedical College at Cornell, the name of it is resusci-dog, so this is adogI am sorrythis is a doll, not a dog; it looks like a dogwhere students can train in cardiopulmonary resuscitation, and inthe veterinary medical classes this has eliminated the use of somenumber of the dogs.The first model a prototype was very expensive, in the thou-sands. The inventLr estimates that this can be produced for hun-dreds of dollars now. I would watch for the dissemination of thisone particular item to veterinary schools around the country.Mr. WALGREN. Has that occurred yet?Dr. atm. I am unaware of it. I can't speakMr. WALGREN. I guess what I am wondering is if there isI sup-pose you can have orphan products out there thatDr. &us. Presumably there would be an economic incentivehere because the purchase of one resusci-dog, although the initialcost may be high, it would be saving use of dogs in laboratories,which, again, is a very .expensive process.Mr. WAunurs. Any indication of any ways that should be beingdiscussed as to how to encourage these kinds of methodsI amthinking particularly, supposedly there are some computer simula-tions of living systems; are there blocks to the spread of the use ofthis kind of thing that you see?Dr. Buts. In educationif, that is what you continue to refertoin education it is difficult to identify any blocks except the atti-tudes of some educators who just are not interested in changing. To
20
represent their viewpoint accurately, I believe they feel that this isthe best way for students to learn.
Mr. WALG'ZEN. How about in any other areas? Do you have anyfeel fore-n thoush it is more difficult to feel you have an alter-
native, I guess, other than in education, because education is de-signed to simply transfer a certain experience to another.
How about in testing?Dr. ELLIS. In testing there are perhaps a handful of statutes that
are actually requiring animal use. Again, this is a swan number ofstatutes; the two that come to mind, the Hazardous SubstuncesAct, which is enforced by the Consumer Product Safety Commis-
sion, requires that LD-50 tests be done to rate the hazardousness of
a substance. Another statute enforced by the Department of Trans-portation, the Hazardous--
Mr. WALGREN. As a statute, as opposed to a regulation?Dr. Euis. I believe it is in the statutory language. It is very un-
usual to find this, that is why I am noting it.Mr. WALGREN. Who oversees the Consumer Product Safety, that
is a separate statute by itself, is it a separate agency?Dr. Ems. That is right; that is an independent agency.Mr. WALGREN. Separate authorization?Dr. Euis. I believe only a small amount of animal testing is ac-
tually done to comply with this statute, but it is one statute thatactually names an animal test and requires it.
Another, I believe this is a statute enforced by the Department of
Transportation, the Hazardous Materials Transportation Act, the
way in which certain hazardous materials that are transported, theway in which they are classified or rated is to their hazardousness,whe:ther they are a class A or B poison, is through specified animaltesting. So the number of statutes that actually specify animal useare few and far between, but there are some, and this is an area towhich the committee might want to turn its intention.
Mr. WALGREN. You mentioned in your testimony that there areseveral methods that are in the validation stage now, can you tell
us more about those?Dr. Ews. In testing, I think Dr. Goldberg, the fourth witness
today, would be best equipped to describethe development of abattery of tests, several different tests that may be able to servewhere the Draize eye-irritant test has served in the past. One othertest that. we focused on in our report is the use of the chickembryo, I should say the membrane surrounding the chick embryo.This is a complete organ it has blood vessels, the tissue will re-spond to a caustic substance, with tissue damage it can, in fact, re-cover from injury, and this may be a substitute, or at least maycomplement the use of rabbit eyes, one of the most objectionableprocedures to rate the toxicity of substances.
Mr. WALGREN. What do you find when you look at the efforts tovalidate thatthere is a picture in the book and, obviously, some-body has done ithow long a process is this validation, and who is
it that gives an effort in that direction?Dr. aus. It is my understanding that the initial work which was
in a laboratory at the Medical College of Pennsylvania, was fundedby three, nr four, or five, animal welfare groups. The work hasshown to be promising. In addition to the animal welfare groups, I
;
24 .
21
believe Colgate/Pahnolive is supporting this work and, in fact, theymay be working in-house now to validate this. The procedures in-volves taking substances that are of known toxicity and labelingthem in a blind fashion so the researchers in the laboratory don'tknow what they have, and asking, perhaps, two or three laborato-ries to go through this procedure, and administering the toxic sub-stance to the chick embryo, to the rabbit eye, and comparing theresults; this is the process of validation of a new test.Mr. WALGREN. Is there any way that we can know what size ofeffort is being made in pursuit of that?You mentioned in your testimony that at the end, that the pri-vate sector is somewhat involved, and some corporations are inter-ested; is there any way that we can know, as public, how much ofan effort is being made in those areas?Dr. ELLIS I don't know of any accurate source of figures acrossthe drug or cosmetic industry, for example, on how much is beingspent by the companies in developing alternative technologies. Idon't know of any source of that data.Mr. WALGREN. The only thing else is the Government help, sothat you would then 1.-.ok at the Government and ask what is beingdone there?Dr. Buis. In fact, asking the same question of the Government,it is difficult to obtain an answer because, for instance, we went tothe National Science Foundation at the outset of our study, andasked, do they support research that involves alternatives toanimal use. The answer almost by reflex was no. And perhaps, itwas our fault because we hadn't asked the proper question.I was surprised at that answer, and I said well, I know that youare supporting research at laboratory X, Y, or Z, with investigatorsdeveloping a computer program to simulate blood flow in the dogintestinal system. And they said, oh, yes, we support that; we sup-port these grants at laboratory X, Y, and Z. And I said, oh, this iswhat I am looking for. Then the National Science Foundation cameback with a very nice breakdown, which we published in the book,on their support for grants that could lead to nonanimal methodsor adjuncts to animal methods.So it is very difficult toI guess, it is a semantic problem, or adifficulty in communications, to go through each of the Federalagencies and ask them, what is your level of support for alternativetechnologies, because in many cases the alternative technologiesreally are offshoots of basic research. Asking that question isalmost like asking what is your basic research budget.Mr. WALGREN. Thank you.Mr. Soehlert?Mr. EMMERT. Thank you, Mr. Chairman. I have an openingstatement, I ask unanimous consent it be inserted in the record.Mr. WALGREN. Without objection.[The prepared statement of Mr. Boehlert follows:]
22
OPENING STATEMENTHON. SHERNOOD BOEHFRT
SRT SUBCOMMITTEE HEARING ON
ANIMAL RESEARCHMAY 6, 1986
MR. CHAIRMAN:
TODAY'S HEARING CONCERNS ONE OF THE MOST VEXING ISSUES
FACING SCIENCE--THE PROPER PLACE FOR ANIMALS IN TESTING AND
RESEARCH.
THERE APPEARS TO BE A GROWING CONSENSUS THAT THE USE OF
ANIMALS SHOULD BE AS LIMITED AS POSSIBLE AND THAT MORE
ATTENTION SHOULD BE PAID TO THE WELL-BEING OF THOSE ANIMALS
THAT ARE REQUIRED.
INDEED, THE USE OF ANIMALS IN TESTING AND RESEARCH
SEEMS TO BE DECLINING FOR A VARIETY OF SCIENTIFIC, ECONOMIC
AND POLITICAL REASONS.GOVERNMENT LAWS AND REGULATIONS, OF
COURSE, ARE AMONG THE FACTORS ACCOUNTING FOR THIS APPARENT
DECLINE.
THE QUESTION BEFORE US TODAY IS: IS THERE NEED FOR
FURTHER GOVERNMENT ACTION TO DEVELOP AND PROMOTE
ALTERNATIVES TO THE USE OF ANIMALS IN RESEARCH AND TESTING?
26
23
THE RECENT STUDY BY THE OFFICE OF TECHNOLOGY ASSESSMENT
(OM), WHICH IS SERVING AS A ROAD MAP FOR THIS HEARING,
OUTLINES NUMEROUS POLICY CHOICES FOR CONGRESS, INCLUDING
SIMPLY TAKING NO ACTION.
TODAY'S WITNESSES OUGHT TO GIVE US A CLEAR DESCRIPTION
OF THE CURRENT USE OF ANIMALS IN INDUSTRY, ACADEMIA AND
GOVERNMENT. WITH THESE FACTS. THE NEXT LOGICAL QUESTION TO
ANSWER IS: HAVE WE STRUCK THE PROPER BALANCE BETWEEN THE
NEED TO PROTECT ANIMALS AND THE NEED TO PROTECT PEOPLE?
OUR GOAL IS CLEAR--TO HELP HUMANITY THROUGH HUMANE
RESEARCH. WE'VE BEEN MAKING PROGRESS IN RECENT YEARS TOWARD
ACHIEVING THAT GOAL. I LOOK FORWARD TO HEARING FROM TODAY'S
WITNESSES ON JUST HOW FAR DOWN THAT PATH WE'VE COME.
THANK YOU.
1141
CURRICULUM VITAE
Name: James D. Willett
Date and Place of Birth: January 16, 1937Stockton, California
Current Address: 11221 Ashley DriveRockville, Maryland 20852
(301) 770-1737
Marital Status: Married
Education:
A.'a. (Chemistry), 1959, University of California, Berkeley
Ph.D.(Organic Chemistry), 1965, Massachusetts Institute of Technology
Postdoctoral (Bio-organic Chemistry), 1965-1968, Stanford University
Experience:
Junior Chemist in the Bioorganic Division,Merck, Sharp & Dohme
Research Laboratorieg, Rahway, N.J., 1959-1961
Postdoctoral Fellow in Chemistry, Stanford University, Palo Alto,
California, 1965-1968Research Associate in Nematology, Institute of Clinical Pharmacology,
Berkeley, California, 1968 (April-July)Assistant Professor of Chemistry, University of Idaho, Moscow, Idaho
1968-1973Associate Professor of Chemistry and Biochemistry, University of
Idaho, Moscow, Idaho, 1973-1977Professor of Chemistry and Biochemistry, University of Idaho,
Moscow, Idaho, 1977-1980Grants Associate, National Institutes of Health, Bethesda, Maryland
1980-1981Staff Assistant to the Deputy Director, Division of Research Resources,
National Institutes of Health, Bethesda, Maryland, 1981-1982
Special Assistant to the Director, Division of Research Resources,
National Institutes of Health, Bethesda, Maryland, 1982-1984
Health Science Administrator, Biomedical Research Models Development,
Animal Resources Program, Division uf Research Resources, National
Institutes of Health, Bethesda, Maryland, 1984-1985
Chief, Biological Models and Materials Resources Section, Animal
Resources Program, Division of Research Resources, National
Institutes of Health, Bethesda, Maryland, February 1985 - present
Formal Training:
1980
Hours
The Federal Budget Process (NM, 1980Legislative Operations Roundtable for Executives (OPM),
Survey of Modern Managewant.Concepts (NIH), 1980
Advanced Management Seminar ((1PM), 1980American Association for the Advancement of Science
5th Annual Colloquium on R&D Policy, 1981
Division of Research Grants Incidents Course (NIH), 1981
Grants Associates Seminar Series (NIH), 1980-1981
24
404840
168
160
25
Mr. BOEHLERT. Dr. Ellis, as I understand the LD-50 test, you geta group of animals and you keep feeding that group of animals asubstance until at least 50 percent of the group dies, or the sampledies; is that correct?Dr. &us. That is generally correct.Mr. BOEHLERT. That seems sort of archaic to me, and inhumane.Is there any scientific reason for continuing the LD-50 program?Dr. Ewa. There may not be a good scientific reason for continu-ing a classic LD-50 program, a test which involves a large squad ofanimals, maybe 100 animals. It appears that the fact of the matteris that a modified LD-50 test, using maybe only 30 animals, where100 animals were used, gives you just as good an answer, or just asgood information as the larger more classical test.The reasons for using an LD-50 test at all are that it is a crudemeasure, a relative measure of toxicity of a substance, that is pre-sumably why it was written into law in several statutes where poi-sons had to be differentiated from one another at some crude level.Mr. Boonzam. I agree with your choice of word "crude."Dr. &us. I don't use it in a pejorative sense; I use it in a descrip-tive sense only. It is crude.Mr. Boonitam. I am using it in a pejorative sense.Are you familiar with H.R. 1877?Dr. Elus. Is that Congresswoman Boxer's bill?Mr. Bowman% That Is right.Dr. ELLIS. Yes.Mr. Bonfluntm. What is your position on that legislation?Dr. ELus. OTA takes no position on any particular piece of legis-lation.You have put me in a difficult position. I can talk about theiitems raised n that bill; I guess, andMr. Box.Huntir. Well, don't speak for OTA then; speak for your-self. You are more scholarly in this area than I am. I am trying tolearn from someone as bright and perceptive as you are.Dr. &us. Well, you are perhaps, more crafty then I am in get-ting me to speak on an issue I don't want to speak on.I can restate what I said and answer your previous question, andthis is relevant to the Boxer bill, I suppose. ne need for the classi-cal LD-50 test is probably not present anymore.I am not certain if the language of that bill talks about the clas-sical LD-50 test, or if it just specifies LD-50 test. That actuallywould be something that the author of the bill, and the commit-teeMr. WALGREN. Would you yield?Let me understand one thing and that is that in the classic testare there always 100 animals, or might there be 1,000 and youlooking for 500 dead animals?Dr: ELLIS. No, it could be a large number. No, I picked thenumber 100.Mr. WALGREN. SO the total number of animals involved variesdepending on who is doing the testing and what they want; to haveas background?Dr. Bu.ts. That is right. The point is that the smaller number ofanimals gives you just as good a data as the large number of ani-mals.
26
Mr. WALGREN. Now, you said, maybe a population of 30 might bebetter, are you still looking for 50 percent of the animals to die?
Dr. Ews. That is correct; that is what the value that you arelooking for is. The LD-50 ifs a number. It is an amount of the toxicsubstance that killed half the group, lethal dose for 50 percent ofthe group.
Mr. WALGREN. But it might as well be LD-1, or something likethat; it could be?
Dr. &us. You would then have different information. Dependingon your purposes you might be interested in LD-10, I suppose.
Mr. BOEHLERT. Dr. Ellis, are you aware that the bill does seeknonanimal alternatives for testing, and that it would permit test-ing in those instances where the testing is justified and reasoningbehind it is made public through something in the Federal Regis-ter?
Dr. &us. You are calling it to my attention; that seems a goodlan_guale.
Mr. tiOEM.ERT. I will put you down in the plus column.Dr. Ews. OTA, again, has no position on Congresswoman
Boxer's legislation.Mr. BOEMERT. I said you; I didn't say OTA.Dr. Ellis, which of the options that you have outlined in your tes-
timony would you recommend; you have given us some options, do
you have a recommendation?Dr. aus. OTA makes no recommendations. Let me talk, again,
on some that seem as if they might be the most`doable and achievethe greatest progress.
Mr. Bozmucirr. All right.Dr. ELUL I think that the direction to NTHso now I am talking
about biomedical researchthe direction to NIH last fall in theHealth Research Extension Act of 1985, to report to the Congresswithin, essentially, a year, on its plan for alternative technologies,is a good thing. Direction to EPA, direction to FDA, and whatother agencies :you may feel relevant to do this kind of reporting tothe Congress within a specified time, seems like it would be veryhapful.
It is helpful at two levels. One, it lets the Congress know whatthe agencies are doing. Two, it forces the agencies, just as it forcedNIH to take stock and to focus their attention in-house on thisissue. That seems to be something that is doable, and somethingthat would benefit all parties.
Mr. BOEHLERT. What do you think are the primary obstacles in
our search for alternatives?Dr. Ews. In basic research, I think the nature of the process is a
fundamental obstacle. Research, whether it is with animals or not,involves mistakes, mis7teps, serendipity, unexpected results, attimes the unanticipated result is as important or more importantthan the anticipated result. And to put researchers into a straight-jacket, perhaps, with a total ban on animal use, would so dim thescope of our quest. for knowledgeto sound grandiosebut the factof the matter is .it is true that this would be, as the OTA reportsaid, an outright ban on all species for all purposes, could be damgerous; the consequences to the public health are so unknown, sc
t.,3 0
27
speculative to this extreme course of action, that this course ofaction could be dangerous.So, I am talking about the most extreme course of action wouldhave the 'most extreme consequences.Mr. BOEHLERT. You don't see the debate that is going on as allspecies, and all circumstances, do you; isn't the--Dr. Euas. No.Mr. BOEHLERT [continuing]. Debate centering around the humanetreatment of animals?Dr. Euas. That is correct. That is where it is really the middleground in the debate, where there is the most chance for progress.I didn't mean to dwell the extremes. But the amelioration of painin the experimental procedures; the monitoring of those humanswho are using the animals is extremely important, we didn't gointo it explicitly in the report, but the first time animal user,whether it is a graduate student, well, we can start as an under-graduate doing that independent research project, this is a veryhazy area in terms of oversight, and this is something where atten-tion could be focused with positive results.Mr. BOEH.LERT. Dr. Ellis, thank you very much.Dr. Buis Thank you.Mr. WALGREN. Thank you, Mr. Boehlert.You mentioned, Dr. Ellis, in the summary, on page 26, that noone Federal agency policy on animal care has all the characteris-tics needed to address all the issues adequately, and that combin-ing certain aspects of each would produce an effective uniform Fed-eral policy. Can you develop that a little bit, because it isn't reallydtweloped in the summary?
&us. Yes; we are talking about intramural animal use here.As we viewed the total use of animals in this country, about 10 per-cent of the animals are actually used, we think, within Federalagencies, so this is intramural use.Most of the use, about 50 percent of that intramural use, is NIH.The other two large users are the Defense Department and theVeterans' Administration, so this is animal use within Federal fa-cilities. So I am talking about the oversight of animal use withinthose facilities.The policy that applies now to the Federal facilities, I believe, isthat policy that was part of the Food Security Act of 1985, and if Iseem to be waivering it is because it is not exactly clear how thisapplies within Federal agencies. The Food Security Act, whichamended the Animal Welfare Act, which is enforced by the Depart-ment of Agriculture, set out new guidelines for animal use in some1,200 institutions around the country that are required to registerwith the Department of Agriculture under the Animal WelfareAct.It also said that Federal agencies should follow these same proce-dures and report them, not to the Department of Agriculture, asmost institutions do, but the Federal agencies should report to thechief executive of the particular agency. And it does not appearthat the Department of Agriculture then has the privilege to in-spect Federal agencies or oversight of Federal agencies, that wouldbe a very unusual situation for one department to inspect or en-force the regulations on other departments.
28
My interpretation of the law was unclear. If I sound unclear,that is why. But there may be room for a uniform policy for animal
use within Federal agencies.Mr. WALGREN. Could I ask you to, in a submission, to address the
differences between NIH, FDA, Department of Defense, and Veter-
ans' Administration, the major users, with respect to their policiesand how adequately they address these areas, so we could get a
pretty good comparison?Dr. aus. Yes; I would be pleased to do that.Mr. WALGREN. You mentioned the lack of information availabil-
ity, and the information banks, one had been tried and discontin-
ued; is that correct?Dr. &us. That is correct.Mr. WALGREN. And now there is another effort which may or
may not get sufficklit funding; can you develop that a little bit?Dr. ELLis. Well, I thia everyone is interested to see what hap-
pens now. The Food Security Act specified that the National Agri-
cultural Library in conjunction with the National Library of Medi-
cine, should begin a data base, or make information available to in-
vestigators on alternatives to animal use.The case study that we went through in an effort in the late
1970's, early 1980's, the laboratory animal data bank failed miser-
ably. It failed principally because the users were not interested init. There was no way for the users to judge the reliability of thedata that were in the data base.
Any user who goes to a data base will want to know the datahave been peer reviewed, or at least judged in some way, theyweren't contributed by a man on the street, and this imposes a
much greater cost then, and a delay in getting the data into thedata bank. So that may be an unconquerable sort of feature of a
data base.We prescribe that if any effort like this wes to be undertaken
that a user survey, very sophisticated survey, and an expensive
one, would be a good investment at the outset to insure that oncesome sort of data base, whether it is colossal, or whether it ismedium size, is something that people will actually use, that it, hassomething that people want. It was our feeling that to create such
a data base, which would be very expensive, without having as-sured oneself that there is a desire for it, would be a poor thing to
do.Mr. WALGREN. Where was that defunct information bank
housed?Dr. Et.us. I believe that NIH did it under contract, at least at
one point, with Battelle, I believe. The number of user hours werepitifully small over 8 years, perhaps, 91 hours, something like that.
Mr. WALGREN. But now another effort is anticipated in the agri-
cultural--Dr. aus. A slightly different sort of effort. Instead of having
actual raw dataI should contrast the different types of computer-
ized data bases that could be made. One might have raw data,where an investtgator with an idea or protocol would check to seeif this work had been done, if the numbers were available, and thatcould obviate the need for using animals. That is the effort towhich I referred, the latoratory animal databank.
29
The DePartment of Agriculture his been told to create an infor-mation service on methods, materials, that would help train inves-tigators in using animal& So I don't believe the Department of Ag-riculture is going to 1;et into the-data business, but they will be dis-seminating information that could help investigators in other ways.
Mr. WALGREN. Well, perhaps you could also give us a submissionof how that might help investigators in other ways?
Dr. Buis. I would be pleased to.Mr. WArpREN. If you could develop that for the record.Mr. Bogruiram. -Mr. Chairman, before we lose Dr. EllisI don't
get as much opportunity es I would like to listen to someone withyour special background so let me throw a curve ball at you, if Imay, not directly related to thi& Are you familiar with the Depart-ment of Agriculture's position on the facial branding of cows inline with the whole herd buy up? ,
Dr. 'Elm. I am i-,ware from what I read in the newspapers, andan inquiry or two from congressional staff on the topic, ye&
Mr. Bonnzam., What was your initial reaction to that; was thatmuch to do about nothing; or uninitiated people like me who areoffended by that proposal, somewhat on fact ground?
Dr. Eths.- Well, I- think that the facial branding is offensive toany- sensitive person. The USDAand this is my own opiniontheUSDA-had a need to mark cows in some way. It is my understand-ing that the only area of the cow that the 1JSDA has jurisdictionover, at least for that particular use, is the face area. Now, wheth-.er
Mr. BOEHLERT. What? Who has jurisdiction over the rest of thecow?
Dr. Emis. It is my understandingyou look at me with a look ofincredulity. It is my understanding that different portions of thecow are branded for different purposes, and that one area that noone else can brand is the face area.
I may be mistaken, but that was my understanding. That is whYUSDA went to the face at the.outset
Mr. Buidnitam. Well, is the tail end under the jurisdiction of theDepartment of Defense? ,
Well, they:have changed, as you probably know.Dr. Emis. That is correct. ,
Mr. BOEHLERT. They are permitting the freeze branding.Dr. ELLIS. I think they would have been wise to go to the freeze
branding at first; although it is Still branding on the face, it some-how appears less offensive: .
Mr. BOICHLERT: What about" thedye injection method for the ear,isn't that something that is workable?
Dr. ELLIS. Ears are notorious for changing their shape, changingtheir appearance. It is a .less good method, but it may have servedits purpose. I iun not in a position.to judge.
In the laboratory, for exaMPle, where you also have -to identifyanimals -for different purposes, not ,because they are dairk cows,but because you want,to know which animal is- getting which treat-ment, ears -are often punched, and 1 week later a punch hole looksvery much like a little bite made by a cage mate, and the No. 1mouse, has turned into a No. 2 mouse. So ears are less good, Iguess
30
Mr. BONHISAT. Well, I was thinking about the dye injection. I didsome research on this. I was just
Dr. Euis.:The dye injectien- method--, .BOSIMERT. am not onlys,concerned about the inhumane
.treatment for aninials, but I was idnd of concerned for farmers.Dr. Et.ui. I certainly ani not a defendant of the facial branding. I
am only trying te bring some discussion to it since you asked.Mr. Bowmen. Thank you verY much.Mr. %mann. If the gentleman,would yield.Let me understand why they pickee, the face, againbecause as I
understand it, they had a reason to mark cows?Mr. BOBilillitT. It is a jurisdictional dispute.Mr. MAILMEN. Well; except that violates me more thanI had
never thought of it that Wseetheto Me to be really st . They had to mark cows; and they
'rEgin l had not heard this before, and itasked somebody, how are we going to mark cows; and-the only sug-gestioni they received had to do with the face because that is theironly jurisdiction?
Dr. ELus: Again this is onlY my understanding, but I believe'that no eine else is allowed to put 'a mark on the cow, on the dairy
icow, in that area,.and so that s their privileged area, that is whythey weit to the face first: I believe that is true.
It kV one thing when somebody chooses it as amethed Of ChoiCe because it has certain advantages from everyone'saspeat; eiery one's ntandpoint, but to think that they chose that be-rause in° some statutory, totally unrelated development, that tradi-tionally they had an area of focus, and they decided to brand in thearea of foCus.
What if their area of focus was the pupil of the eye, would thatMean that they would only brand on the pupil of the eye?
That' really doesn't make any sense. Even the freeze brand:nig,maybe there is a better method Of marking someplace else on thecow, where it ought to be, where there are less, perhaps, leasnerves. I don't khOw that, but I would saspect it.
To the best of your knowledge thid is a sort of an accurate stateof the affair? .
Dr. Ewa. I believe that the face area was an area of exclusion ofany other marks, and When the need ;came to mark cows theyturned to the area that they knew could have no other marks.don't endorse it.' I- think it was a public relations blunder. But Ithink I am adcuratelY rePreienting the reason why.
Mr. %Loam: But' then you get a public relations blunder andthe response is to step back frobi hot branding to freeze branding.Maybe freeze branding is pretty easy stuff; I don't know.
Mr. BOSHLICILT. Relatively speaking, it is.'Mr.-Mato' um Yes.Mr: Boximsam. They .did reepond, incidentally, because I went
down, the Florida house ofwell we are getting way far afieldbut 'I` Went' down te the Florida 'Houie of Representatives with amodel -tow, and' three 'staff people grabbed me and said, you can'tbrin that oir the floor Of the House of Representatives, it is not
ed..But. I brc ht' it on' and explained it,Dr.
Di. &us. Thank you.
31
Mr. Wetnam. Thank you, Dr. Ellis. We appreciate your report,and parts of that will be made part of the record, as seem appropri-ate. We appreciate the report and your contribution today.
Dr, Eum. Thank you.!See sub-Ammittee files for report mentioned above.)
Wamr. Let's call the next panel then. James Willett theDirector of Biomedical Models and Materials Resources Section;David Rall, .Director of. the National Institute of EnvironmentalHealth SerVices; and Gerald Guest, the Director for the Center forAreferittety Medicine; the-last of the FDA, the first two of the NIH.
Gentlemen, -welcome to our discussions, we appreciate your beinghere. Your ,written statements will be ma& part of the record.Please feel free_ to outline or present the points which you feel de-serve to be underscored in whatever way is most effective.
Let's go through in the order in which I introduced you to theaudience, and start with Dr. Willett
STATEMENTS OF DR. JAMES D. *nun DIRECTOR, BIOMEDI-CAL MODELS AND MATERIALS RESOURCE SECTION, NATIONALINSTITUTES OF HEALTH; DR. DAVID P. RALL, DIRECTOR, NA-TIONAL INSTITUTE OF ENVIRONMENTAL HEALTH SERVICE,NIH, CHAPEL HILL, NC; AND DR. GERALD GUEST, DIRECTOR,CENTER FOR VETERINARY MEDICINE, FOOD AND DRUG AD-MINISTRATION
Dr. Wmurrr. Mr. Chairman, members of the subcommittee, I amJim Willett, Chief of the Biological Models and Materials Re-sources Section, of the Division of Research Resources, NIH. I ampleased to have the opportunity to present to this subcommittee in-formation on the history, purpose, and activities of the BiologiCalModels and Materials and &sources Section.
The Division of Retiearch Resources Biological Models and Mate-rials Section is developing a focus for the NIH's activities in theexploration and development of nonmammalian models for biomed-ical retiearch. The section was created in February 1985 as an inte-gral unit of the Animal Resources Program with a budget of $1.1million.
The mission of the section is to provide for the development andsupport of cell systeme, lower organisms, and nonbiological systemsas models for biomedical research and to provide biological materi-als that serve as critically impm:tant resources to the biomedicalcommunity. The section is addressing the need to explore and sup-port the utilization of nonmammalian models in biomedical re-search.
While . it is possible to view nonmammalian and nonbiologicalmodels as alternatives to mammalian models, such systems arebest viewed as essential components of. the range of model systemsneed for the efficient and effective pursuit of new knowledge in bi-ology and medicine.
Over the last 5 years the division received numerous requests,from the research community for support of a variety of model sys-tems and needed biomaterials all identified as important researchresource& The model systems so identified include& lower orga-
32
ma, in vitro cells and tissues, and nonbiological models euchmathematical and computer simulation.
In response to these requests the division began in 1981 an exam-ination of the range of model systems used in research supportedby the NIH. The results of this effort enabled the section to trackthe use of human subjects, mammals, lower rtebrates and otherliving Systems in the research projects NIH supporta. .
1We know from the data that the relative distribution of projectsemploying mammalian models, human subjects, and other types ofbiological systems, such as the invertebrates, microorganisms, cellsand cell products, et cetera, in the NIH's research portfolio, has re-mained essentially unchanged since 1977.
Mr. t Chairman, I have included this table for the record whichsummarizes these findings.
[The table follows:]
,38
Research Materials Use Update. Mav 1986. Dr. James D. Willett
Fiscal Year
Humans a..e. Research Subjects
Research Dollars (%TS) Projects (%T)
1977 27. 32.41979 26.8 31.21979 26.8 29.21980 25.0 28.91931 23.8 29.71982 23.2 31.51983 22.9 32.21984 22.9 32.61985 22.9 37.8
Laboraoc., Animals
Fiscal YeAr
(Mammals) as research Subiects
Research Dollars (9sTS) Projects (%T)
1277 43.5 41.91978 44.0 42.51979 44.9 43.81290 45.0 44.21921 47.3 44,11992 48.1 43.51992 47.9 42.71084 48.5 42.71.c.:185 46.2 41.4
All
Fiscal Year
"Other"+, Research Subjects
Research Dollars (VT8) Projects (%T)
1,477 29.4 25.629.3 26.3
1979 28.2 27.01980 29.8 26.91981 28.9 26.01982 28.7 25.01983 29.2 25.11984 28:5 24.71985 30.0 25.8
+ "Other" includes invertebrates. non-mammalian vertebrates.bacteria. viruses, mathematical and computer simulations, etc.
050186DIVISION oF RESEARCH RESOURCES
RESEARCH MATERIALS USE IN QTRAMURAL RESEARCH PROJECTS
NATIONAL INSTITUTES OF HEALTH ONLY
1982 1983 1984 1985RESEARCH r:, OF % OF NO, oF % oF No. OF % oF NO, oF % 0F
CLASSIFICATION pRuJEcTs PROJECTS PROJECTS PRoJEcTs PROJECTS PROJECTS PROJECTS PROJECTS
REPORT; JDW138
H9,617 31.1 10,456 31,9 11,016 32.3 12,210 32.5
HI31 .1 34 .1 41 .1 44 .1
HM 3,362 10.9 3,460 10.6 3,532 10.3 3,605 9.6
HMI 98 .3 84 .3 96 .3 101 .3
HMN 184 .6 160 .5 160 .5 163 .4
HmNI 13 .0 8 .0 5 .0 5 .0
NH 54 .2 64 .2 61 .2 , 58 .2
HNI 12 .0 5 .0 7 .0 5 .0
I 659 2.1 686 2,1 702 2.1 711 1.9
M 8,791 28.5 9,263 28.2 9,735 28.5 10,599 28.2
MI 271 .9 296 .9 341 1.0 357 .9
MN 640 2.1 678 2.1 655 1.9 701 1.9
MNI 84 .3 54 ,2 55 .2 50 .1
K 753 2,4 765 2.1 777 2.3 827 2.2
NI,
72 .2 72 ,2 62 .2 64 .2
R 6,249 20.2 6,721 20,5 6,886 20.2 8,111 21.6
TOTAL 30,890 32,626 34,131 37,611
IM)7E: H 2 HUMANS
I INVERTEBRATES
M E 4011.HUMAN MAMMALS
N 2 104.MAMMALIAA VERTEBRATES
PACE 1
35
Dr. WILLETT. With these results in hand the division began exam-ining the need for a research models and materials developmentprogram. The objectives of this activity were to explore the oppor-tunities and limitations to the use of lower organisms, tissues andcells and culture and mathematical and computer simulations asmodels in biomedical research.
In 1983, Congress asked the NIH to report on the division's ac-tivities in this area. Mr. Chairman, I would like to provide a copy/of this report for the record.
[The report follows:]
36
ATTACHMENT 2
'DEPARTMENT Of HEALTH AND HUMAN SERVICES
Public Health Service.
National Institutes of Health
Division of Research Resources
ZPORT ON BIOMEDICAL RESEARCH MODEL DEVELOPMENT
evya,A,Thomas E. Maloni, Ph.D.
PfP41, PiTfet9T.
February 1983
37
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Public Health Service
National /nstitutes of Health
Division Of Research Resources
REPORT ON BIOMEDICAL RESEARCH MODEL DEVELOPMENT
Table of Contents
Introduction 1
Background , 1
Issue 2
Current and Proposed Activities 2
V
38
REPORT OH BIOMEDICAp RESEARCH MODEL DEVELOPMENT
INTRODUCTION
-In itn report on the Fiscal Tear 1983 budget for the Deportient ofHealth and Human Services, the Committeton Appropriations stated:
"DRR has taken the lead in planning the development of anew activity in 1983 entitled Biomedical Research ModelDevelopment. This activity will ascertain whether there are-alternatives to the use of laboratory animals which canresult in more reliable, economical, and efficient models tobe used in biomedice. research. In 1983, this activity willconsist of planning efforts through workshops and conferencesaimed at understanding the problems and identifying areas ofresearch moat likely to benefit from the development ofmodels ann the areas of technolosy most likely to yieldusable research models. The Committee welcomes thii effort tofind alternatives to the use of labOratoryanimals for researeh.A-report on the results of this 'effort should be made to theCommittee at next year's bearings. If program design isproposed, it should include estimates of total funding required,how such funds would be administered, the criteria for allocatingfunds, and the amounts recommended for Fiscal Year 1984." (HouseReport,No. 97-894, pages 3556)
The following report his been prepared by the National Inatitutes ofHealth of the Department of Health And Human Services in response tothis request.
BACKGROUND
The mission of the Division of Research Resources (DRR) is to identify,develop, end maintain those resources that guarantee the luality of theenvironment in which modern biomedical research is performed. Thedevelopment of modes is an important ongoing activity in mostscientific discOlines. The Division is focusing on those developedand'developing model systems with broad.applicability to biomedicalresearch. Models development, like the development of other researchmethodolOgies, to an integral pert of this mission.
A model is defined es "a representation to show the structure or serveas n copy of something." In biomedical research methodologies, modelsare used to provide Aimple or manageable examples of complex biologicalprooeases. %A good Model accurately povtrays the aystem it is intendedto represent. Models vary in their complexity. for example, nonhumanprimates say be the bast models for studies of the behavioral effectsof drug, While the best model of the drug's biochemical effects maybe system involving censor tissues in culture.
4 2,
39
ISSUE
The developmenCOf aiiodel is often essentiillo the understanding ofcomplex biological.phinomens. tome research'activities:can'usesiMplersystems,as models.11ower,orgenisms, 1issues and cells in culture, ornonliving .systems, when%seeking to answer questions of universal.biologiial processes::Aiimpler model iystem4 often provide dats"Whichare evensive; difficult,-or'impossible to obtain7by using higher
. animilc,as modeli;Proia.a:scientifit peripective, it seems advisableto.deieriaiWif say of%these specific simpler systems hes generalappliesbility. Intensive.interest focuses.on:such developments todaybecause of their.potential for accelerating research findings, fordealintwith'sultiple variables, and for.1educing the current costs ofbiotediCal research. ,
It is,imPortant to recognise thit the development of simpler researchmodels'is notoriented toward creating alcernatives to the use ofanimals iwresearch.'Only-raiely, outside'the area of biologicaltesting, can one replaie%a complex experimental-system (04., an intacttumor-bearing animaatitWa'significantly simpler one (e.g., tumorcells in ajaboratery dish) and .still-be abl td-pursue the same '
scientificAuestion 'Whenever the.research objective is.to gain newknowledge about the:life procesaes of intact higher organisms inhealth, in disesser.undar various experimental-circumstances, thereare no alternatives tO the uee of laboratory animals.
CURRENT AND PROPOSED ACTIVITISS
The purposeja-initiating the Diomedical Rosie:eh Model Developmentactivity is 10 foster the development and evaluation of biomedicallyimportant research methodologies based'on lower organiime and:nonlivingmodels. .The use of such modeleAs invaluable in many erase of '
NIH-supported research. for exempla, invertebrate model systems can beemployed to study such diverse areas as basic aspects of vitaminmotabolims, the control of ensyme biosynthesis, metal ion toxicology,and hepatocellular carcinoma. Projects currently underway are usinginsects and nematodes in baeic studies of the biology, biochemistry,and genetics of aging. Cell and tissue culture-based biological assaysare also used tn.etudies of a variety of physiolegical phenomena.
The wide range of biomeacst research activities involving models whichdiffer phylogeneticelly, structurally, and conceptually is apparent
'from a recent inventory of the research methods and models employed .inPublic Health Service (PHS)-supported research projects. The inventorymakes possible the identification of research models employing lowerorganisms, tissues/cells in culture, or nonliving systems; pools ofindividual i,...vestigatore having established expertise in each of thearess of potential model development; and areas currently supported by-several ME Institutes Which are appropriate for potential modeldevelopment.
2
43
aRR has .received an unsolicited proposal from the .Assembly of LifeSciencevof the National ACadernyof Sciences to sponsor a series of
..workshops 0 identify 4re4s:of.research which itill-zbenefit,Irom thedelholOpeentafjev:orAmproired sndels forbiomedical reiaarch and to,provide::110te,nf,tesearch Otheds,sUited;to investigations in theseareal. :11peciiic;modelAyitems currently, in, nee which have general
,,aPplicabikity wili:be identifiods.:.and the- cheracteristica promoting theinterdietinlineryitilieyof-ench.systeas'Astablished. This overviewof-leinting reesorchlondels,4111 clearly define the-limits.and.
:,apportunitiesjer,theirappliCetiontmaidorAlomedical resetrek'problems', se*Il.se-thaArOavof ovierlap-betweewendeleysteasiwhere.f'thole eziet..:_aechanismalor stimulating research lin modeling essential,Yea- tha develapment of neior.limprovid aethods foriAonidical researcheill'be.iuggested:wherowsuch activity is considered to have potential;for economic or scientific vaine.
The panilOf exPerts elle reviewed the proposatconcloded that theconcept presented has potential-interest and ealutvin relatiohto the .
research objectives of-several NIB:Institutes and 'other FederalDiecussionsAire,underisy with thA-Dieector, NIN,,And tha
Institute Diriciorson.the adviesbilitymf adopting this approach to.the !souse.; The:Division expects to,Oegin the Sorkshops iwthe latterpart of 1963wit4,theit completion anticipated-by .the,end of 1984,report of:thi,reenits should 4e publisheCby early 1963. .
A specific atramural progra. in Biomedical *March MOW Developmentwill be developed ifAhe results of the workehopa indicate that ouch an
. -activity is both necessary and meritorious.' Aisurning the results arefevorable,.the Division;Will,prepare estimates of-total fundingrequired,:and Ole:criteria for allocating and administering funds.RequiOWfor. grant.Applications could be issued as.early as .1984, withinitial &Wards being sada in 1965 or early im 1966.
41
Dr. Wiurrr. The 1983 report explained the purposes for NIH'sinieation of the biomedical research model development activity,which was to foster the development and evaluation of biomedical-ly important research methodologies that are based on lower orga-nisms and nonliving models.
In this same year NIH expanded its eveluation through a con-tract with the National Academy of Sciences of the opportunitiesand limitations to the use of lower organisms, in vitro cells and tis-sues, and nonbiological approaches in developing models for bio-medical research.
In March of 1985 NIH received the results of the academy's eval-uation of modeling in biomedical research in a report entitled,"Models foe Biomedical Research: A New Perspective."
Mr. Chairman, I would like to provide you with a copy of thereport for inclusion in the hearing record.
Mr. WALGREN. We appreciate that.ghe report, "Models for Biomedical Research: A New perspec-
tive," is available in the subcommittee files.]Dr. Wiusrr. In conducting the evaluation a case study approach
was used, sampling the spectrum of biomedical research modeling.Five topics, each covering an important area of biomeAleal re-search, were selected for in-depth examination through a series ofworkshops. .
In this manner the academy committee conductinethe study ex-amined and evaluated experimental models for the investigation ofcellular immunology, regulation, learning, diseases and aging, anddevelopment. A sixth workshop was subsequently arranged to ex-amine mathematical Modeling in biomedical research.
In great measure the report deals with the the theoretical struc-ture of general biology and reemphasizes the concept of unity anddiversity so long held by biologists.'From the breadth of topics cov-ered during the course of the workshops held, it became more andmore evident that in biology, as the models report states, "at everyhierarchical level from molecules to ecosystems, common hard-ware, common programs, and common strategies are used toachieve diverse ends." .
The Biological Models and Materials ResOurces Section hasbegun activities in response to four ,of the recommendations in theacademy report. These recommendations are similar to require-ments in the Research Extension Act, Public, Law 99-158, in sec-tion 4. Further, the section 'is serving as a home for several impor-tant research resources.
We are fully supporting two important resources, the AmericanType Culture C,ollection and the Cell Culture Center at the Massa-chusetts Institute of Technology, and is shearing support for threeadditional resources whose primary support is with another 14114institute, these are the Repository for Human DNA Probes and Li-braries, the National Diabetee Research Interchange, and the Caen-orhabitis elgens Genetics Center.
This concludes my prepared statement, and I would attempt toanswer any questions the subcommittee may have.
[The prepared statement of Dr. Willett follows:]
,
42
FOR RELEASE UPON DELIVERY
STATEMENT BY
JAMES D. WILLETT, PH.D.
CHIEF
BIOLOGICAL MODELS AND MATERIALS ,RESOURCES SECTION
ANIMAL RESOURCES.PROGRAM
DIVISION OF RESEARCH RESOURCES
NATIONAL INSTITUTES-,OF HEALTH
PUBLIC HEALTH SERVICE
DEPARPIENT OF HEALTH AND HUMAN SERVICES
FOR THE HEARINGS ON
ALTERNATIVES,TO ANIMAL USE.IN RESEARCH AND TESTING
,
BEFORE THIS
SUBCOMMITTEE ON SCIENCE. RESEARCH AND TECHNOLOGY. . . .-
CONMITTEE ON SCIENCE:AN6 TECHNOLOGY
HOUSE OF REPRESENTATIVES
May 6, 1986
43
Mr. Chairman, and members of the Subcommittee, I am Dr. James D. Willett, Chief
of the Biological Models and Materials Resources Sectn of the Division of
Research Resources, NIH. I am very pleased to have the opportunity to present
to this Subcommittee information on the history, purpose and activities of the
Biological Models and Materials Resources Section.
General Program Description
The Division of Research Resources Biological Models and Materials Resources
Section is developing a focus for the National Institutes of Health's (NIH's)
activities in the exploration and development of nonmammalian models for
biomedical research. The Section was created in February of 1985 as an integral
unit of the Animal Resources Program with a modest budget of S1.1 million. The
mission of the new Section is to provide for the development and support of cell
systems, lower organisms and nonbiological systems as models for biomedical
research, and to provide biological materials which serve as critically
important resources to the biomedical community. The Section is addressing the
need to explore and support the utilization of nonmammalian models in biomedical
research.
While it is possible to view nonmammalian and nonbiological models as
alternatives to mammalian models, such systems are best viewed as essential
components of the spectrum of model systems needed for the efficient and
.effective pursuit of new knowledge in biology and medicine.
4 7
44
-2-
Background
Over the last five years the Division received numerous requests from the
research community for support of a variety of model systems and needed
biomaterials identified by them as important research resources. The model
systems included: lower organisms, in vitro cells and tissues, and
nonbiological models such as mathematical and computer simulations.
In response to these,reqUests the Division began, in 1981, an examination of the
range of model s§Stems used in research supported by thp NIH. The results of
this effort enable.the Sedtion to track the use of human subjects, mammals,
lower vertebratec and other living systems in the research projects NIH
supports.
We know from the data gathered that the relative distribution of projects
employing mammalian models, human subjects and other types of biological systems
(such as invertebrates, microorganisms, cells and cell products, etc.), as well
as nonbiological model systems in NIH's research portfolio, has remained
essentially unchanged since 1977.
Mr. Chairman, I have'included a table for the record which summarizes these
findings.
With these results in hand, the Division began examining the need for a research
models and materials development program. The objectives of this activity were.
to explore the opportunities and limitations to the use of lower organisms,
45
-3-
tissues and cells in culture, and mathematicaland computer simulations as
models in biomedical research.
ili 1983, Cor7ress ,Ked the NIH to report on the Division's activities in this
area.
Mr. Chairman, I have provided a copy of this report for the record.
The 1983 report explained the purpose for NIH's initiation of the Biomedical
Research Model Development activity, which was to foster the development and
evaluation of biomedically important research methodologies that are based on
lower organisms and nonliving models.
In this same year NIH expanded its evaluation of the opportunities and
limitations to.the use of lower organisms, in vitro cells and tissues, and
nonbiological approaches.in developing models for biomedical research, through a
contract with the National Academy of Sciences.
In March of 1985 the National Institutesof Health received the results of the
Academy's evaluation of modeling in biomedical research in a report entitled,
Models for Biomedical Research: A New Perspective.
Mr. Chairman, I'd like to provide you with a copy of the report for inclusion
into the Hearing Record.
46
-4-
In conducting the evaluation a case study approach was used, sampling the
spectrum of biomedical research modeling. Five topics, each covering an
important area of biomedical research, wePe selected for in-depth examination
through a series of workshops. In this manner the Academy committee conducting
the study examined and evaluated experimental mode' for the investigation of
cellular immunolo gY, regulation, learning,diseases and aging, and development.
A sixth workshop was subsequently arranged to examine mathematical modeling in
biomedical research.
The synthesi;s of concepts presented during the workshops led to insights into
modeling and..information transfer in biological research that provides a
conceptual framework for how models can be selected and used. In conducting
the analysis of models the committee strove to answer three questions basic to
the modeling process:
o How can information gained from studies of organisms simpler than humans,
be used to expand our knowledge of human biology in normal and pathological
states?
o What is the degree of confidence in the transfer of information gained frOm
one species to studies of another--i.e., to what extent doei a general
biology (a structure analogous to theoretical physics that subsumes
particular cases within general laws) exist, and to what degree have
biologists succeeded in formulating it?
47
-5-
o How are the problems inherent in informationtransfer related to the levels
of organization (e.g., molecules, cells, tissues, organs or organisms) of
the phenomena under study?
In great measure the report deals with the theoretical structure of general
biology and reemphasizes the concept of "unity in diversity" so long held by
biologists: From the breadth of topics covered during the course of the
workshops held, it became more and more evident that in biology, as the models
report states, "at every hierarchical level from molecules to ecosystems, common
hardware, common programs, and common strategies are used to achieve diverse
ends."
Academy Recomnendations
Contained within the report on Models for Biomedical Research: A New
Perspective are eight recommendations to the NIB regarding modeling and model
development in biomedical research. The report recommends that the NIH should:
1, support good research without taxonomic or phylogenetic bias including
comparative and phylogenetic studies. Proposals for the study of
invertebrates, lower vertebrates, microorganisms, cell and tissue culture
systems, or mathematical approaches should be regarded as having the same
potential relevance to biomedical research as proposals for work on
systems that.are phylogenetically more closely related to humans.
48
-6-
2. strive to make favorable systems available to the research community by:
providing support to supply organisms for research, maintaining stock
centers for mutant strains and cell lines, facilitating access to computer
programs for biological modeling, maintaining data bases like those for
protein and DNA sequences, providinglong-term support for collections of
cloned genes and useful vectors or collections of monoclonal antibodies.
3. continue support of mammalian models and the search for additional
mammalian models.
4. consider supporting development of new model systems for specific research
areas.
5. consider developing a clearing house encouraging the use of nonmammalian
systems-for testing the effects of exposure to chemicals of interest to
environmental toxicologists,
6. consider encouraging interest in nonmammalian systems through fellowships,
symPosia, and direct support of model development.
leave the selection o'f the best system or organism for proposed research
to the individual investigator.
8. investigate the matrix ofbiological knowledge concept as a potential tool
for biomedical research.
.52
49
-7-
This scholarly document provides a foundation for the NIH's consideration of the
recommendations it contains and clearly demonstrates the value and role of
diverse model systems in medical research.
Activities of the Section
The Biological Models and MaterialsResources Section has begun activities
responsive to recommendations 2, 4, 6 and 8 in the Academy report--
recommendations similar to requirements to the Research Extension Act, P.L.
99-158 (Section 4). Further, the Section is serving as a home for several
important research resources.
The Section is fully supporting two important research resources, the American
Type Culture Collection and the Cell Culture Center at the Massachusetts
Institute of Technology, and is sharing support for three additional resources
whose primary support is with anotherNIH Institute (i.e., the Repository of
Human DNA Probes and Libraries, the National Diabetes Research Interchange, and
the Caenorhabditi... elegans Genetics Center).
Each of these resources provides modelsor materials to the research community
which meet the original objectives and reasons for implementation of the
Biological Models and Materials Resources Section.
53
50
-8-
Description of the Resources the Section Supports
1. The American Type Culture Collection (ATCC)
The ATCC serves as a national repository and distribution center for a
diverse collection of animal viruses, bacteria, bacteriophages, cell
lines, fungi, plant viruses, protists, hybridomas, plant tissues,
recombinant DNA vectors and oncogenes. This Section administers a
contract which supports the curatorial functions of this unique resource.
This resource responds to requests for over 70,000 cultures and cell lines
each year and is the primary source of microbiological standards for the
scientific community. These organisms are important to the full spectrum
of NIN-supported 6iomedical research from basic to clinical
investigations.
2. The Cell Culture Center at the Massachusetts Institute of Technology
(MIT)
The Cell Culture Center at MIT provides a customized service for research
investigators needing extremely large quantities of cells in culture or
their products in their research. The primary mission of the Center is to
produce cell': and cell products on a large scale to allow scientists
throughout the United States to conduct novel and important experiments in
basic biology that could not be accomplished with the materials and
resources available in their own laboratories. A wide range of
51
-9-
investigators studying cellular and molecular biology use the Center'sservices. The Center is supported through a cooperative agreement and has
provided services to investigatorsthroughout the Nation.
3. The Repository of Human DNA Probes and Libraries
The use of DNA probeshas revolutionized the conduct of genetics research,
diagnosis, and therapy.The Biological Models and Materials Resources
Section is sharing support,with the National Institute of Child Heafth
and Human Development, of a Repository of Human DNA Probes and Libraries.
The contract to support thisproject was awarded to the American Type
Culture Collection in September of 1985. The Repository will establish acollection of cloned human
genes, DNA probes, and human
chromosome-specific libraries and serve as a major internationalresource
center for the distributionof the rapidly proliferating
human DNA clonesand libraries. Probes and cloned genes
are being actively sought from thegenetics and molecular
biology research communities. The human
chromosome-specific libraries are being made available from a
collaborative project supportedby the Department of Energy at the Los
Alamos and Lawrence LivermoreNational Laboratories. The Repository will
also make available,online, a computerized data base on the repository
holdings AS well as backgroundinformation On the probes and
chromosome-specific libraries for use by interested researchers. The
Repository is expected to assume a vital role in supportingresearch in
genetics and molecular biology as well as in supporting the use of
recombinant DNA gene mappingtechnology in mapping the human genome.
,
52
-10-
4. The National Diabetes Research Interchange (NDRI)
Research investigators who wish to corroborate findings established in
animal models by conducting additional studies in human tissues have often
experienced difficulty in obtaining these tissues. The NDRI was
established in 1980 to meet this need. While the NDRI's primary funding
comes from private foundations and the National Institute of Diabetes and
Digestive and Kidney Diseases, the National Heart, Lung, and Blood
Institute and the Division of Research Resources are also contributing to
the support of this unique resource.Though originally specializing in
collecting, preserving and distributing diabetic tissues for researchers,
the KIRI has expanded its activities and is now supplying a wide range of
healthy and diseased tissues and organs to an ever-expanding research
community. Over 100 human tissue types have been supplied to
investigators studying such diseases as diabetes, retinitis pigmentosa,
cardiovascular disease, cystic fibrosis, and glaucoma.
5. The Caenorhabditis elegans Genetics Center
The Caenorhabditis elegans Genetics Center is a repository and
distribution center for a small multicellular invertebrate, a species of
round worm, that is finding increased utility as a model system for a wide
array of fundamental studies in the biological sciences. Developed
56
initially as a model for studies of the genetic control of development, it
is showing increased utility in fundamental studies of neurobiology,
endocrinology, and aging.
While the Center's primary support is provided through a contract from the.
Nat'ional Institute on Aging, both the Biological Models and Materials
Resources Section and the National Institute of General Medical Sciences
are providing partial support for this resource.
Activities the Biolo ical Models and Materials Resources Section is Planning
Two workshops were held in 1935 to examine the Academy's recommendationthat NIH
consider investigatinga concept which developed in the evaluation study,
referred to as the "matrix of biologicalknowledge," as a tool, and a potential
resource, for biomedical research.The concept, theoretical in nature, and
involving an interplay between experimental biology, information management and
developments in the field of artificialintelligence, was viewed as a timely and
necessary undertaking whose accomplishment,however, was seen as potentially
massive and long-term.Experts from various fields and staff from the National
Library of Medicine and other Federalagencies participated in these workshops.
The conferees were enthusiastic about the concept and recommended that the
Biological Models and Materials Resources Section, in conjunction with other
interested agencies, organizea more extensive workshop of several weeks'
duration, to more fully examine thepotential benefits inherent in the concept.
The goal would be to clearly define the practicality of attempting to generate
54
-12-
what amounts to a national biomedical data storage, data retrieval and data
management system. Such a system would access a range of different data banks.
This concept would not generate one gigantic data bank but rather a system for
accessing individual data banks and allowing communication between them. At its
best this approach is seen as effecting a long-term saving of both money and
experimental materials, providing maximal utilization of the information already
purchased. It is seen as an attempt to remove existing constraints on an
investigator's ability to access all information relevant to his or her
studies. It would enhance choices of models suited to their investigations and
increase the likelihood that both the unique ar.d general characteristics of the
biological phenomena under investigation become apparent.
The Section is proceeding with plans for the extended workshops that were
recommended, and is seeking input and support from the other Institutes and
Federal agencies which have expressed an interest in this concept's potential as
a useful research resource.
This concludes my prepared statement. I will be pleased to answer any questions
the Subcommittee may have.
:55
Mr. WALGREN. All right. .
Well, let's turn then to Dr. Ra 11.Dr. RALL. Thank you, Mr. Chairman. I am very pleased to behere. I am David Ra 11 the Director of the National Institute of En-vironmental Health Sciences, NIEHS; and of the National Toxicol-ogy Program, NTP. We have worked diligently and made consider-able progress in the development and validation of improved toxici-ty research and testing methods. -I shall focus primarily on the work of NIEHS and NTP, as re-quested; and I Eilould point out that the animals used are almostexclusively rats and mice in our studies. And I wish to state I knownothing about dairy cows.The Toxicology Research and Testing Program and NIEHS, com-prises the central core of the National Toxicology Pro am. NTP,now in its eighth yeart is a cooperative effort o the Foodand Drug Administration's National Center for Toxicol'ogical Re-search and the Center for Disease Control's National Institute ofOccupational Safety and Health, all of these within the Depart-ment of Health. and Human Services.The purpose of NTP is to strengthen the science base in toxicol-ogy and to coordinate research and toxicology studies on potential-ly toxic compounds. This information is u. ed by- regulatory and re-search agencies as well as bY other organizatio:is concerned withthe public's health.
.
The information is peer reviewed and is publicly available eitherin technical reports, which are announced in the Federal Register,or in the NTP'S annual plan and report, and in the ITI`P's surveyof toxicological studies in progress within IMS, the Department ofEnergy and the Environmental Protection Agency, which coversthe very large bulk of the nonclassified toxicological researchwithin the Federal Government..Until the development of modern texicology, the association be-tween chemical exposure and health effects became apparent formany serious effects only after exposure took place often at coat ofgreat huniari suffering and deaths. With the evolution of toxicologywe now have laboratory approaches to identify some of these haz-ardd and to understand their effects in laboratory and laboratoryanimals end ultimately in human populations.
search, that biol cal processes of molecular, cellular, tissue, end
Essential to is the knowledge derived from basic re-organ fUnctions t t control life are strikinily similar from onemanunalian- ipecies to*another. Processes such as sodium and po-tassium transport,iron regulation, energy metabolism, DNA repli-cation vary little in the aggregate as one moves along the phyloge.netic Judder. The .whole study of-,the genetic events has a strongthread of similarities .from the smallest:virus to largestThe classic 'work on the transmission of neural impluses in thesquktlazon is directly relevant to human neuromuscular behavior.AdVinces in our understanding of neurological diseaae based onlaboretory work has only been achieved through the use or wholeanimal .models. The immunolwical effects of dioxin, TCDD, wereflret observed in mice in the mid-1970'i, and thus predicted the re-shifts of immunological studies reported a week or two ago in QuailRun, the MissOuri community exposed to-TCDD-contaminated dirt.
S.' 5 -5
56
It is in chemical carcinogenesia.'where the benefits of the use oflaboratory animals have been most apparent. From experimentalstudies we have learned that if a chemical is carcinogenic in appro-priate labOratory anitha1systems,it is likely to be carcinogenic inman. And in fact, we -note that six of the human carcinogens werefirst shown to be carcinogenic in laboratory animals. The informa-tion generated by our toxicological studies is often used as the basisfor regulatory action. And this requires a highly rigorous standardof proof. It is imperative therefore that the quality and conduct of
our comprehensive toxicological characterizations and methods de-velopment meet the highest scientific standards.
Our work investigating new methods is long, arduous, and expen-sive, but one in which. we have made notable progress. There arenumber, of ways in which NIEHS and NTP contributed both direct-ly and indirectly to the.use of fewer laboratory animals.
Traditionally approaches using whole animals require thatgroups of animals be autopsied at varying times after being ex-posed to the chemical in order to follow the progression or regres-
sion of a toxic lesion. This means that extra animals are requiredat each point in time. -
Recent advances in complicated techniques called magnetic reso-nance and magnetic resonance imaging make it possible now tocarry'out noninvasive studies on intact, anaesthetized animals. We
can observe in intact animals the development of many lesions, in-cluding tumors and we can, if necessary, observe their regressionall in the anaesthetized but otherwise perfectly normal animal.
Evaluation of the use of these various instruments in experimen-tal animals for this purpose is still in the developmental phase.`ButI think! I' am ;mite optimistic that this will create a revolution inthe toxicological research and testitv _Worth.
There are other studies done at NIEHS that have directly or in-
directly affected the, mimber of animals used in research 'and test-ing. We now evaluate 'more parameters or end-points on a given
group of animals reducing the need, again, for extra animals.-In our prechionic studies we also eitaluate studies on reproduc-
tion, immune function, and genetic toxicology; historidally, sepa-rate studies, and therefore separate groups of animals had been re-quired.
Starting in the early _1970's NIERS, and later NIEHS and NT?,began the development, of alternative test systems that would im-prove our ability to identify and understand environmental healthhazards. Research funds were aWarded early on to evaluate if flow-
ering weeds and other plants that might identifY inutagenic airpollutants.
Generations of fruit flies were studied as possible alerting sys-tems for human health hazards": Cells from humans were cultivatedin the laboratory for use in cancer studies:
,NIEFIS and NT? scientists are involved currently in the deielop-ment and refinement of a number of assaY systeins, that .amOng
other thing; result`in the use of fewer animals.I have included In my teitiMony a list of these systems, and I
would be delighted to furnish further information.Having -shared my optimism over the ,promise that these ap-
proaches offer, I must :also' caution that short-term tests can pto-
57
vide solid information, they must not be overly interpreted. Beforethey can be used with confidence we Aeed to confirm that they areproviding the information that we expect them to provide. Theycan be very useful as rapid, inexpensive means of 'capturing dataon specific potential toxicity, but their value as predictive tools isstill evaluated.This is a lengthy and expensive process. NIEHS and NTP havedevoted substantial effort over the last few years to laying a firmtechnical and scientific foundation for an evaluation of this issue.We have devoted approximately $70 million to this effort overthe last 5 years, and we expect this will continue into the future.There' are well over 100 assays that have been proposed as substi-tutes for predicting or studying toxicological effects.The utility of any system is first dependent upon its reproducibil-ity within and between laboratories. Therefore, in our evaluation ofsuch assays vie have adopted the principles derived from clinicalresearch of double blind testing.Drawing on our own extensive data baseand there is no otherlike it in the worldNIMIS and NTP has established a process forSystematically evaluating the correlation between results in short-term mutagenicity screens and results of chronic carcinogenicitystudies.This process is ongoing at the moment because of the very largenumber of data points, it will be the summer or fall before we havedefinitive information. I will insure that the committee is madeaware of these results as soon as they are available.In order to stimulate concern within the scientific community atlarge for the development of alternatives to the use of animals inbasic and applied research NIEHS last fall issued request for grantapplications directed toward the development, validation and use ofnonmammalian methods foi the study of biological effects and tox-icity of environmental agents. .As a major of the interest within the biomedical community wehave already received almost 40 applications, and we expect thatwe will begin to award some of these in early focal 1987.I might add parenthetically that we receive a number of investi-gator initiated applications under the Small Business InnovativeResearch Act, the SBAR, which deal with innovative new uses fortoxicity testing. I don't have those numbers at hand, but it hasbeen successful in that area, also.
Mr. WALGIUM. If I could ask, how does that set-aside work here?I. understand we are supposed to allocate 2 percent or somethinglike that to small business. Ili that on an NIH total, and so if thereis a concentration in this area that would apply to your total; or doyou do 2 percent?Dr.. RALL. It is basically 2 percent on an institute basis. We indi-cated the areas we are interested in, and alternatives to animaltesting is one of those areas. And we have, as I said, a number ofapplications.I will be brief; I think you can read my statement.The NTP and NIEHS have been at the forefront in efforts to de-velop alternative methods for identifying, explaining the toxicologi-cal effects of chemicals on biological systems. We are doing this m
f's
58
a number of ways, improvements in study design, investigation ofmany new short-term methods and so forth.
Again, let me warn that a long, important, massive evaluation isrequired. This long, complex, and more costly process, will providea more exact indication of the predictive value of these short-termtoxicological studies.
Thank you, I would be delighted to answer any questioni.[The prepared statement of Dr.'Rall followsj
59
Statement of
David P. Rall, M.D., Ph.D.
Director, National Institute of Environmental Health Sciences
Director, National Toxicology Program
National Institutes of Health
U.S. Department of Health and Human Services
Before the
Subcommittee on Science, Research and Technology
of the
Committee on Science and Technology
U.S. House of Representatives
May 6, 1986
63
8b Up/UL
Introduction
1=0-0Z-420U nitnb 1V1 PAW.
I am David P. Roll, Director ofthe National Institute of Environmental
Health Sciences (NIEHS) and Director of the National Toxicology Program
(NTP). I am delighted to have theopportunity to describe our recent
progress in development and validation of improved toxicity research and
testing methods. Much of our 'work to develop alternative toxicological
metric:Zs results in a reduction in thenumbers of animals used. En my
remarks I will focus on the work of theKTP, as the Committee requested.
It is important to note at the outset,that in NIP'S toxicological studies
the animals used are almost exclusivelyrats and mice.
The Toxicology Research andTesting Program at NIEHS comprises the central
core of the National Toxicology Program. NTP, now in its eighth year, is a
cooperative effort of MEM, the Food and Drug Administrations's National
Center for,Toxicological Research and the Centers for Disease Control's
National Institute for OccupationalSafety and Health, all within the
Department of Health end Human Services.Ors purpose is to strengthen
the science base in toxicology and to coordinate research and toxicology
studies on potentially toxic chemicals.This information is used bY
Federal regulatory and research agenciesas well as by other organizations
concerned with the public's health.
Our society places extraordinaryvalue on protection of the Public's
health. In providing that protection wemust use the knowledge and tools
that we have available to identifyand then minimize risks to human health.
Ideally, this should be done beforepeople become sick or die. Currently.
6 4
00 voevA 10,W 7:70-b2-22blf
61
NIERS 101 0202
2.
animals are the best surrogate we have for humans and, for those laboratory
studies that require whole animals, we must use a statistically adequate
number to allow a reasonable power of detection of effects from chemical
exposures. However, the conduct of this work must be guided by strict
ethical considerations, including the highest standards for humane
treatment of animals utilized in achieving this societal goal.
CHEMICAL TOXICOLOGY
Until the development of modern toxicology, the association between
chemical exposure and health effects became apparent usually only after the
exposure took place, often at a cost of great human suffering and death.
With the evolution of toxicology, we now have laboratory epproaches to
identify some of these hazards and to understand their effects in
laboratory animals and ultimately in humans.
Theoretical consideration and experience indicate that it is possible to
identify the effects of chemicals in laboratory animals to which humans are
or will be exposed, and to use these results to predict in general terms
what is likely to occur in the human population. Essential to this premise
is the knowledge, derived from considerable basic research, that biological
processes of molecular, cellular, tissue, and organ functions that control
life are strikingly cimilar from one mammalian species to another.
Processes such as sodium and potassium transport and ion regulation, energy
metabolism, and DNA replication vary little in the aggregate as one moves
along the phylogenetiC ladder. The whole study of genetic events has a
thread of similarities from the smallest virus to the largest mammal. The
21004
'66 06,02 16:01 M-629-2260
62
NIERS 101 8202
3.
classic work on the transmissionof neural impulses in the squid axon is
directly relevant to humans. Advances in our understanding of neurological
disease based on laboratory work has only been achieved through the use of
whole animal models.At present it is impossible to mimic the nervous
system in in vitro* models.The immunological effects of dioxin (TC00)
were first observed in mice in the mid-1970s thus predicting the results
of immunological studies of the residents of Quail Run, the Missouri
community exposed to TCOD-contaminated dirt.
It is in chemical carcinogenesis*where the enormous benefits of the use
of
laboratory animals have been most apparent. From experimental studies we
have learned that if a chemical is carcinogenic in appropriate laboratory
animal test systems, it is likely to be carcinogenic in humans. It is
important to note that 4-aminobiphenyl,diethylstilbestrol (OES), mustard
gas, vinyl chloride,aflatoxins, bis(chloromethyl)ether (BCME), and
melphalan were shown to be carcinogenic in laboratory animals prior to
evidence that they were carcinogenic in humans.
One of the maior developmentsin chemical carcinogenesis has been the
demonstration that a family of genes that reside in normal cells can be
activated by chemicals to become oncogenes, substances whose protein
products contribute to the process of malignancy. It is inconceivable that
we could have achieved thisunderstanding of.the role of oncogenes without
*in vitro: $tudy of biological ffects or processes in other than the
whole mairr
4chemical carcincgenesis: Study of a chemical's ability to produceor
incite cancer.
6:8
63
NIGHS 101 B2021-1)006
4.
extensive use of laboratory animals. We now know that certain chemicals
initiate the cancer process while others promote it. Such an understanding
should eventually allow us to better classify carcinogens based on their
mechanism of action, thus improving the ability to assess health risks and
take appropriate regulatory action.
Positive results in long-term carcinogenesis animalstudies by NTP have had
significant regulatory consequences. A few examples include 1,3-butadiene
(a Chemical used in the production of rubber products) for which the
Environmental Protection Agency (EPA) initiated a review of the chemical
and then referred it to the Occupational Safety and Health Administration
(OSHA) for possible regulatory action. OSHA is soliciting comments
regarding the health risk of exposure. A. another example, methylene
chloride carcinogenesis results were utilized by EPA in deciding to
initiate a priority review. Recently.the Food and Drug Administration
(FDA) Published a rule to ban methylene chloride's use in cosmetic
products. Also, the Consumer Product Safety Commission (CPSC) is
considering a number of actions for decreasing exposure to methylene
chloride in paint strippers and spray paints. On a third chemical,
ethylene dibromide, EPA has made a decision to eliminate certain uses as a
Pesticide.
Through the use of animals, toxicity studies by the NTP have also provided
the public with some degree of confidence that certain chemicals, drugs and
vitamins such as xylenes (a constituent of gasoline), ephedrine sulfate (a
sympathominetic a central nervous system stimulant used as a broncho
dilator) and vitamin C do not cause toxic or carcinogenic effects based on
studies in rodents exposed to relatively high amounts of these compounds.
.6.7
XEROX TELECAPIER 495 ; 2- 5-86; 4:01814 ; 8 829 22604
68 05/02 16:03 ST8-629-2260 NIERS 101 0202
:Amewou....v.,,.
QI307
BetauSe the information generated by ourstudies is often used as the basis
for regulatory action, which requires ahighly rigorous standard of proof,
it is imperative that the quality and conduct of our comp rehensive
toxicological characterization studies and methods development meet the
highest scientific standards.Our work investigating new methods is a
long, arduous, and expensive undertaking, but one in which we have made
notable progress. The Committee should understand that until we can
guarantee the public that these new methods are reliable, reproducible and
measuring what they are intended to measure, it will be necesSary to use a
number of animals for a period of time.
ALTERNATIVES TO THE USE OF ANIMALS
There are a number of ways in which NIEHS.and NTP contribute both directly
and indirectly to the use of fewer laboratory animals. A good example of
this is NTP's study of chemical disposition.This approach uses a limited
number of animals to determine how a chemical is absorbed, where it
migrates in the body, how long it is retained, in what form, and how and
where it is excreted. This type of W08198E100 ten result in better
scientifically designed studies that require fewer animals overall.
Another example of large savings in numbers oflaboratory animals and
dollars is the NIT's benzidine dye initiative.This group of dyes includes
some 82 discrete cheolicals that are available in the United States.
Because Of the high cost and time requirements for long-term studies in
rats and mice, the aim of this effort has been to develop &A integrated
body of scientific knowledge concerning the pharmacokinetics*, genetic
*pharmacokinetics: Study Of the rate of absorption, distribution,
etabolism, and excretion of substances from the body.
86 05/02 16:04128-620-2280
65
WENS 101 B202
6.
toxicology, and systemic toxicity and carcinogenicityof these chemicals as
a class. Through the careful selectionof chemicals it should he possible
to establish basic principlesthat can be applied to tht
entire class ofcompounds. Thus, it will not be
necessary to conduct long-term studies onevery chemical in this class.
From such studies of the relationship
between A chemical's structureand its activity in biological
systems wecan answer same additional questions
rather than put relatedchemicals into
animal studies.
Traditional approaches using whole animals typically require that theanimals be autopsied at
varying times after beingexposed to the chemical
in order to follow theprogression or regression of a toxic lesion. This
means that a sufficient numberof animals is required at each time point to
ensure statistical validity.Recent advances in magnetic
resonance (MR)and magnetic resonance imaging
(MRI) instrumentation may make it possibleto carry out non-invasive
studies on intact,anaesthetized animals. Thus,
after exposure to a chemicalthe effect in the biological
system can be
monitored continuously in the same animalover a period of hours, days or
longer if necessary, therebydecreasing the need for additional animals.
The development of tumorS, AS Well AS theirregression, can also be
followed in this way. This ability to carry out long-term studies onindividual animals
over time reduces the needfor comparisons among
different animals and thus can lead to a reduced need for animals. InAddition to providing a
non-invasive method to study chemical effects inwhole animals, this methodology can be used in studies of tissue culture.
In such studies thebiotransformation of the chemicals can be continuously
followed and the effects on various cellular parametersmonitored.
rfiteea
'610 Um/We 10:Wi iX0-04N-AcooLI1.3 It"
7.
Evaluation of the use of the MR and MR1 instrumentation in experimental
animals for this purposeis still in the development phase. Based on our
study of these techniquesso far I am quite optimistic that they will be
extensively integrated into our toxicology testing efforts in time.
There are several otherstudies that have been done at WIENS that have
either directly or indirectlyaffected the numbers of animals
used in our
research and testing. As a result of moreeffective dose targeting, we
have begun to reduce thenumber of dose groups in some of our pre-chronic
studies. Also, we are now able toevaluate more parameters on a given
group of animals, reducingthe need for as many animals. For example, we
Use our pre-chronicstudies to also evaluate effects on reproduction,
immune function and genetic toxicity. Historically, separate studies, and
therefore separate groups ofanimals, were required to evaluate
each of
these parameters.In addition, this has provided us an even better
indication of whether or not along-term study is needed and if so an
improved ability to design thestudy to get at the information we
want. In
other words, we are usingthe same or fewer numbers
of animals to get more
information and to design studiesbetter in order to avoid the need for
repetition.
DEVELOPMENT OF ALTERNATIVE TEST METHODS
Starting in the early'70s WIENS, and then later
with the creation of NTP
in 1978, committed to thedevelopment of alternative test
systems that
would improve the abilityto identify and understand
environmental health
hazards.Research funds were awarded
early on, for example, to evaluate
weeds and other plants thatmight identify air pollutants.
Generations of
67
8.
fruit flies were studied as a possible alerting system for hazardsto human
fetuses. Cells from humans were cultivated in the laboratory for use in
cancer studies. Microbial cells and tissues were being utilized by manY
scientists in studying injury to s pecific organs.
Currently, one of our MaJor objectives in improving test methodsis the
development of short-term tests that provide an indication of the need for
longer-term chronic testing. Such methods enhance the ability to set
priorities for testing of chemicals and subsequently aid in tht design and
interpretation of long-term animalstudies. NTP has in place a testing
rationale that involves the execution and evaluation of certain short-term
test results prior to making a decision to carry out a two-year animal
sttniy.
In their efforts to understand more clearly the mechanisms of chemically
induced damage at the cellular and molecular level, both NIEMS and NIp
scientists are involved in the develcpment and refinement of assay systems
that maY, among others things, result in the use of fewer animals. To give
You a sense of the scope and diversity of this effort I would liketo list
for the Committee some of the approaches being examined:
Cell culture system to study a multistep model of carcinogenesis
In vitro screening sYstem for teratogens+
whole mouse embryo culture for study of teratogenesis
Use of isolated brain cell components of the rat to measurE effects of
drug release on hormones of reproductive system
+teratogen: Factor that causes production of defect in the developingembryo.
71
88 05,02 16:08 ITO -620-2200
68
NIEds lei BEM ;to
9.
Cell culture for study of toxic effects in the kidney
Human tissue culturetechnique to compare human with rodent metabolism
Continued development work on the Salmonella (Ames)mutagenesis" assay
Aneuploidy. test system to monitorchemically-induced aneuploidy
Human cell assay for genetic toxicity
Non-invasive test for neurologicaldeficits in the whole animal
Drosophila mutagenesis test and teratogenesis screen
Algae as model of mammalian metal metabolism
EVALUATION OF ALTERNATIVE TEST METHODS
Having shared my optimism over the promise that theseapproaches offer, I
must also caution theCommittee that although short-term
tests can provide
solid information, they must not be overly interpreted.That is, before
they can be used with confidence we need to confirmthat they are providing
the information that we expect them to provide.Thej can be very useful as
a rapid, inexpensive meansof capturing data on specific potential
toxicity, but their value as predictive tools is still being evaluated.
This is a lengthy and expensive process.MIENS and MTP have devoted
substantial effort over the last several years to laying a firm technical
and scientific foundationfor an objective evaluation
of this issue.
There are well over 100various assajs that have been proposed to be
potential substitutes for predicting or studyingtoxicological effects in
mutagenesis: Study of changes in genetic material.
*aneuploidy:An abnormal number of chromosomes.
69
XEROX TELECOPIER 495 : 2- 5-9b: 4:uorp.
'66 05/02 16:07 IN8-629-2260 51E85 101 0202
10.
the whole animal and humans. However, the utility of any system is first
dependent on its reproducibility within and among laboratories. Therefore,
in our evaluation of such assays we have adopted the principles derived
from clinical research of double blind testing where the chemicals to be
evaluated are tested under code and the results evaluated for positive or
negative response by predetermined criteria before the code on the chemical
is broken. We believe this approach is essential to minimize investigator
bias and the inflverce of preconceptions on evaluation of results.
Drawing on its own extensive data base -- there is no other like it in the
world -- NTP has established a process for systemmatically evaluating the
correlation between results in short-term mutagenicity screens and results
of chronic carcinogenicity studies. This evaluation process is difficult
and time consuming since it must be a multifactorial process that includes
consideration of type and magnitude of effect in the whole animal and in
the short-term system, as well as relation to chemical class and structure.
We are very hopeful that out of this sort of objective and systematic
evaluation effort will emerge a cl picture of the uses and limitations
of short-term test systems as predictive tools for the effects of chemicals
in the whole animal. We also know that not all of our questions will be
answered by this undertaking and that additional studies will be needed to
achieve our ultimate goals. As our initial evaluation is completed, we
will make our results public. I will ensure that the Committee is made
aware Of them as soon as they are available.
21012
70
OTHER EFFORTS
11.
In order to further stimulate concern within the scientific research
community at large for the development of alternatives to the use of
animals in basic and applied research NIEHS has issued a request for grant
applications directed toward development, validation and use of
non-mammalian methods that can be employed to study the biological effects
of environmental agents. Almost forty applications have been received in
respon:e to this announcement. We expect that approved applications will
be awarded in early FY 1987.
SUMMARY AND CONCLUSIONS
The field of toxicology has matured to the stage where results from
laboratory animal studies can provide reasonably good indication of a
chemical's health effects when that chemical is investigated under the
appropriate conditions. Our confidence stems from experience indicating
correlation from one mammalian species to another and from laboratory
animals to human populations. As the examples I mentioned demonstrate, the
information gained from experimental animal studies can have stgniffcant
public health and regulatory implications.
Scientists are continuously seeking improved, more precise ways to develop
this information. This endeavor is central to the process of scientific
investigation and is complemented by the humane desire to decrease the
numbers of animals used for research and testing. The natural accumulation
of knowledge will stimulate development of alternativeapproaches, some of
which may lead to the use of fewer laboratory animals. There are however,
86 OBein 1808 48-629-2260
71
NIEHS 1U1 U2U21/40014
12.
areas of study for which no reliable alternative to the intact animal is
now possible. Faced with the need to demonstrate that the use of a new
chemical will not pose an unacceptable risk to human health, it is crucial
that we understand the effects (if any) of the new chemical on each organ
system and on the vital functions of the animal.
The National Toxicology Program has been at the forefront in efforts to
develop alternative methods for identifying and explaining the
toxicological effects of chemicals in biological systems. We are doing
this in a number of ways, ranging from improvements in study design and
use of pre-chronic study data, to investigation of a number of short-term
test methods. Before we can be thoroughly confident that these short-term
tests are reproducible and reliable, measuring what they are intended to
measure, extensive evaluation is required. This is a long, complex and
costly process, but one that will provide a more exact indication of the
predictive value of short-term toxicological studies.
This concludes my prepared remarks. 1 would be happy to answer any
questions that you might have.
Birthplacesod Date:
Marital Status:
Education:
ProfessionalTraining:
Experience:
72
CURRICULUM VITAE
David Platt Rall
Aurora, Illinois; August 3, 1926
-Married; two children
Public Schools, Naperville, IllinoisB.S., North Central College, Naperville (1946)M.S. (Pharmacology), Northwestern University (1948)Ph.D. (Pharmacology), Northwestern University (1951).M.D., Northwestern University School of Medicine (1951)
Internship; Second (Cornell) Medical Division,Bellevue Hospital, 1952-53
Director, National Institute of EnvironmentalHealth Sciences, NIN, 1971.present
Director, National Toxicology Program, 1978 -presentAssistant Surgeon General, USPNS, 1971-presentAssociate Scientific Director far ExperimentalTherapeutics, National Cancer Institute, 1966-71
Medical Director, USRMS, 1943-71Chief, Laboratory of ChMaical PharmaaalaDY,National Cancer Ifistitute, 194341
Senior Surgeon USPNS, lgSg-OgHead, ClinicallPharmacology and ExperimentalTherapeutics Service general Medicine branch,National Cancer Institute, I9$143
Scientist, Clinical Pharmacology and ExperimentalTherapeutics'Service general Medicine Branch,national Cancer Institute, 1951.58
Surgeon, WPM, 1111-09Scientist, Laboratory of chemical Pharmacology,National Cancer Institute, I953.55
Research Associate in Pharmacology, NorthwesternUniversity, 1900
Assistant in Pharmacology, Northwestern university,
1941 -SOOuter Fellow in Pharmacology, NorthwesternUniversity, 1947-49
AssociationMemberships:
73
David Platt Rall
Americ . for the Advancement of ScienceAmerican Association for Cancer ResearchAmerican Public Hetlth AssociationAmerican Society for Clinical InvestigationAmerican Society for Pharmacology and Experimental, Therapeuticsfederation of American Societies for Experimentalbiology
Society for Occupational and Environmental HealthSociety for Risk AnalysisSociety of Toxicology
Honors andOther SpecialScientificRecognition: Member, US Delegation to the US-Japan Cooperative Science
Committee, 1904-presentArnold 3. Lehman Award, Society of Toxicology, March 1983Editorial board, Aegulatory Toxicology and Pharmacology,1981-pretent
Editorial board, Risk Anal sit, 1981-presentHead, OHMS DtlegaTT,biJapan Non-Energy R&DCooperative Agreement Joint Committee Meeting,Tokyo, Japan, September 1981
Chairman, WHO Programme Advisory Committee, 1980-81Member, WHO Programme Advisory Committee, 1980-presentEditorial board, American Journal of Industrial Medicine,1980-present ---,
Member, Institute of Kedicine, National Academy ofSciences, 1979-present
Nellie Fox Lecturer, Northwestern University MedicalSchool, April 1928
Chairman, Committee on Health and Environmental Effectsof Increated C041 Utilization, 1977-78
Harrington Lecturer, Ofversity of buffalo, April 1976Member, RAS Safe Drinking Water Committee, 1975-1977Member, OMEN Secretary's Review Panel on New DrugRegulation, 1975-76
Associate Editor, Journal ofjoxicology and EnvironmentalMal 1974-78
Editorial board, Archives of Environmental Health, 1973-76Chairman, OHMS CalillTErto Coordinate Environmental And"'' "44 Programs, 1973-1985
2
ResearchInterests:
74
David Platt Rall
Chairmftr Subccomittee on Environmental and OccupationalHealth, Joint Working Or-,o on Health Cooperation,
US/Egypt Cooperative Agretment, 1972-prestntUS Coordinator, Environmental Health Program, US-USSR
Health Exchange Agreement, 1972-presentUS Coordinator,liological and Genetic Consequences
- Project, US-USSR Environmental Protection Agreement,
1972-presentUS coordinator, US-LU Cooperative Program inEnvironmental Health Sciences, 1972
Adjunct Professor, University of North Carolina, Chapel
Hill, 1972-presentChairman, CIST-CEP Ad Hoc Committee on Environmental
Health Research, 1971-72Associate nditor, Cancer Research, 1970-74Chairman, DHEW DoliinNiFfirOMMIttee on Drug Research
and Regulations, 1970Editorial Hoard, Pharmacolo teal Reviews 1969-72
Chairman, Nationar1nstiTeOUGIneraT1iedical SciencePharmacology-Toxicology Review Committee, 1967-69
Member, National Institutes of Health Chemotherapy
Study Section, 1965-67Editorial Board, Proceedin s of the SOCietf for
Ex erimental 6Io o afld MeTcT175lecturer n ys o ogy,-NUITIT-ST5Ool, George
Washington University, 1958-62PHS Meritorious Service Medal, 1966
DHEW'Distinguished Service Medal, 1975
Or. Rail has authored and co-authored approximately 150
published papers relating to comparative pharmacology,
Cancer Chemotherapy, blood-brain barrier, blood CSFbarrier, pesticide toxicology, and drug research and
regulation.
78
3
75
Mr. WALGREN. Thank you, Dr. Rall, we appreciate that.Dr. Guest?1)r. Gttr`!T. My' ame is Gerald Guest, I am with the Center forVoterinars,, Metht -r4, at the Food and Drug Administration. I dohave a very brief tyltdement, if I may.The FDA, like other components of the Department of the
Health and Human Services, is actively pursuing a number of ini-tiatives to insure the most humane treatment possible for test ani-mals and to reduce or elin-inatP entirely requirements for suchtests as the the L.In their testimony this mor,lin: P " and Willett of the Na-
tional Institutes of Health presented, 1 taut._ an excellent overviewof the Department's efforts to minimize the use of animals for test-ing. I think they correctly, emphasized, however, that since animalsare the best surrogates for humans, there will be a continuing,albeit, I hope, decreasing need for the use of animals in research inorder to minimize risk to human health. I think the need tor sometesting is reflected in the principal law that is administered byFDA, that is the Federal Food, Drug and Cosmetic Act.
The act imposes on manufacturers the burden of demonstratingthat their products meet the safety requirements of the law. Apartfrom the work done at our National Center for Toxicological Re-search in Arkansas, FDA conducts relatively little toxicology test-ing of its own.
Instead, we recommend the type and extent of testing we believenecessary to determine safety, and then review the data that aresubmitted by drug and food manufacturers to determine whetherthey meet these requirements.
Thus, we require that all human and animal drugs and food ad-ditives undergo careful testing in animals to assess their potentialtoxicity to man; to determine whether they have any teratogenicpotential; and to determine carcinogenicity when there is a likeli-hood of chronic exposure.Animal studies of human drugs are of particular importance in
determining whether new products can safely be tested in humansand to assess their potential therapeutic effect. Obviously, I believeit would be neither legal or ethical to begin human trials until itsacute toxicity and other harmful potential effects have been care-fully tested in animals.
Chemicals used as drugs to treat animals or feed additive prod-ucts require toxicity testing for several reasons. One reason is therequirement to assure safe use in that target animal, whether it bea horse, a cat, or a dog. And another is the necessity to assure thatchemicals used in food-producing animals are safe if they become acomponent of human food as a residue.
Despite the need for animal testing to some degree, FDA has al-ready undertaken or plans to undertake efforts to reduce the use ofanimals in research and testing, and to avoid unnecessary testingmethods.
On November 9, 1983, FDA sponsored an acute studies workshopattended by approximately 150 _persons from Government, indus-try, and public interest groups. The purpose of that workshop wasto discuss the scientific rationale, requirements and uses for acutetoxicity studies, including lethality, to clarify the regulatory re-
:
76
quirements for acute toxicity data, and whether there was anylonger a need for a statistically exact LD-50 value, or the dosewhich kills 50 percent of a group of a laboratory animals understudy.
The following consensus points emerged from that particularworkshop. There was general agreement among Government andindustry representatives that the LD-50 test is often credited withgreater quantitative and scientific accuracy than it merits, andthat there are are other determinants of acute toxicity such as siteand mechanism of action, which are certainly more desirable in ex-panding the scope of our knowledge in the toxicity area.
The requirements for the LD-50 tests among Government agen-cies and industry is much less than that perceived by the generalpublic. For example, FDS does not require the use of the LD-50test to assess the safety of the products it regulates.
Point No. 3, industry and Government agencies support the de-veloprr fmt and validation of alternative methods, those using asfew animals as possible and those that use no animals.
Point No. 4 in the consensus was that the U.S. Government agen-cies are cooperating on animal welfare issues with other countriesthrough organizations such as the Organization for Economic Coop-eration and Development.
As a result of this workshop, FDA established an agency-widesteering committee on animal welfare issues to review its guide-lines on the use of animals and to recommend changes whereneeded through the Commissioner of Food and Drugs. On August15, 1984, the steering committee issued its final report which calledfor, among other recommendations, a greater coordination betweenFDA centers in the use and development of in vitro alternatives toanimal testing; instituting more uniform agencywide practices forthe care and liandling of animals; and establishing a pIrmanentFDA animal welfare committee.
These recommendations were adopted and at present we have anactive animal welfare committee in place. We would like to submita copy of this steering committee's report for the record, Mr. Chair-man.
Mr. WALGREN. Without objection, we would be happy to have it.[The report followsl
80
77
FINAL REPORT TO THE COMMISSIONER
FOOD AND DRUG ADMNISTRATION
AGENCY STEERING COMMITTEE ON ANIMAL WELFARE ISSUES
August 15, 1984
U.S. Departaent of Health and Human ServicesPublic Health Service
Food and Drug AdministrationRockville, Maryland 20857
8 1
78
Executive Summary
The lipd and Drug Administration (FDA) Steering Committee onAnimal!Welfare Issme vas formed in January 1984. lepresenta-tires from each Center and the Office of the Commissioneraddressed the five issues with which they were charged bygathering information on Agency-wide procedures, practices andrequirements related to each issue. As a result of studying andanalysing such information provided by staff umbers from eachCenter, the Committee has reached the following conclusions.
A. General Observations
1. For 'many years the FDA has deeonstrated concern for theproper care and treatment of animals in its research and
testing prograas.
2. Representatives from FDA have been working for eeveralyears with organisod groups at the National Institutesof Health and the U. S. Department of Agriculture toassure humane treatment of animals.
3. There have keen continuing afforte, again for a numberof years, to review testing requirements and to ninleisethe use of animals needed to meet those requirements.
4. While much progress is being made on the development ofcertain alternative test procedures, animals will remainessential to eedical and health research, safetydeterminations, and risk assessment for the foreseeable
future.
B. Specific Observations
1. FDA practices and procedures aro Ossigoed to obtain themaximum amount of data from the minims number ofanimals. This is accomplished in the Centers by acontinual review of requirements and new techniques,protocol reviews for research projects, generaloveroight in various ways such es by baying writtenrequitement& evidelines and procedures which specify
shat is need:d for product approval.
2. FDA has so requirements for LDso data obtained byusing the classical, statistically precise teat exceptfor batch release tonicity tests of three antitumorantibiotics. The Agency is considering eliminating this
requirement. The Committee found several references to
82
79
the LD50 test in older guidelines which are beingrewritten to clarify the requirement for acute toxicity
.
tudies, including approximate lethal dose instead of, LD50 teats.
3. There are many alternative teats being studied anddeveloped throughout the Agency. Although moat requiremore research for validation, some in vitro studies areuseful as screening tools to provide guidance to deter-mine if additional animal studies are required or can beomitted. immunochealcal and biochemical techniques arebeing substituted for animals to determine the potencyend purity of some biological products. -There is excel-lent potential for developing acceptable alternatives totbe use of animals or their reduction in test numbersfor soma purposes.
4. Throughout the Agency there are practices and proceduresfor asentiOg humane care and treatemnt of aniaals. Twofacilities are accredited by the American Associationfor Accreditation of Laboratory Animal Care, the highestformal accreditation, and the others have self-assessment procedureg in place which meet or exceedPublic Health Service standards. Centers continuallyreview their procedures to reach and eaintain thehighest standards of humane care for animals.
S. FDA has a number of regular channels of communication toindustry, consumers and the private sector in general.These are used fur informing the 7DA constituents ofpolicies and procedures as well as for providing a meansfor these groups to communicate their questions andconcerns to the Agency. Efforts to improvecommunication channels will continue.
Li
80
Introduction
The FDA is responsible for protecting and promoting public
health by assuring the safety of foods, drugs, cosmetics,
biologicals, medical devices and radiological products. This
responsibility covers products intended for human and antmal
use. To meet its responsibilities, the Agency conducts research
and testing and requires preearketieg safety data to establish
eafety-in-usu for most products. Premarketing safety data are
aot required for radiological products, some medical devices or
casmetics except for colors used in the area of the eye.
In te recent past, some concern and confusion has been ex-
pressed by industry as well as by individuals and animal welfare
organixeions as to the exact mature of those requirements. A
particular concern has been over requirements for acute toxicity
data, especialy the use of a statistically precise, traditional
LD50 test. &waver, there is broader interest in the Gain-all requirements for the use of animals in developing toxicolog-
ical data and in t:Ne care and handling of animals in research
and testing programs,
The FDA shares these saaa concerns and in an effort to address
them Ass done two things. First, it sponsored a workshop on
acute toxicity studies in Woveaber 1953. The workshop was open
to the public and included pafticipents from FDA and other
goverusent agencies as well as from industry. Its purpose was
to discuss aod clarify requiremeots for acute toxicity data. A
report of the workehop was issued in February 1954. Second,
the Agency announced at that workshap that it intended to form a
comaittee to review the cage and handling of entails throughout
the Agency. A Steering Committee on Antal Welfare Issues was
formed in January 1984 and charged with addressing the following
issues:
1. Are FDA procedures so ordered as to obtain the mazimuls
amount of useful scientific information while utilising the
fewest number of animals?
2. Do FDA procedures in any way indirectly stimulate the
perpetuation of the LD50 test even though the Agency no
longer directly requires the use of this test?
3. Is FDA making the maximum use of and encouraging the
continued development of reliable in vitro altermatives to
in vivo methodologies/
4. Axe mechanises in place to ensure continuing compliance with
iii
84
81
the Animal Welfare Act and witkthe highest standards ofanimal care?
5. Is the historical usefulness of animal testing in humanhealth protection, the prisary aission of IDA, properlyappreciated by our constituents?
All of the Centers and the Office of thu uemmissionar warerepresented on the Committee. The scientific backgrounds of themembers included toxicology, pharmacolosy, veterinary smdicine,sicrobiolosy and chemistry. Through its members, the Committeereviewed iw-depth each Center's procedures sod practices relatedto in-house researCh and research supported under contracts andgrants. It also reviewed requirements isposed on industry forregulatory purposes. The staffs of the Centers ware extremelycooperative in providlog their representatives with data andinformation which the Committee studied and analysed. Thisreport presents their findingd.
iv
8 5
82
ISSUE #1 - Are FDA procedures so ordered as to obtain themezimum amount of useful scientific information while utilisingthe fewest sumber of animals?
1111DISCS:
The PDA has established procedures which are intended to obtainthe 'axiom amount of informatiou from the anima number ofanimals. -Par intramural research involving animals, scientistsare required to have protocols reviewed and approved prior tololtistiog a project. Part of that review focuses on the appropriste use of animals and the design of the protocol to derivescientifically reliable data from the 'minimum umber of animals.in addition to involving statisticians in protocol development endrequiring review, the Agency mikes continuing efforts to use invitro aod chemical methods to replace or mlolaise the use of aid-,Miln-bouse and in its requirements and recommendations to in-dustry. This aspect is presented in greeter detail in Issue #3.
Perhaps the most significant contribution to the ninimisatici ofthe use of animals results from the issuance of guidelines forconductiog tests required to produce data escessary for a toxico-logical characterisation of produCts ehich PDA regulates. Degaussof the wide range Of products agency-wide, an appreciable numberof tests using variety of animal species is required. A listingof these is shown in Tables 1-9. Despite the progress bolos madein the use of alternatives, animals are still oecaseary foreasessing the safety of new products. Sy taloa !and, scientif-ically accepted testing guidelines in-hones and as requirementsfor industry,.the meteor amount of useful data le obtained usingthe fewest lumber of animals. Without guidelines which recommendthe ambers and kiode of .teste and animals, data generated frominappropriate numbers aud kindsof tests night result in theconduit of nova teats and use.of more animals than is absolutelyoscessary. Depending on tha product and proposed use, it say beadequate to determine naly.sume and not all acute, subchronic andchronic affecta and Waving guidelines bell* in.specifyinerequiremente. guidelines exist to define test protocols .forevaluatiog safety of foOdAind color additives, cosmetics, potencyandsafety of biologicals, hum and Veterinary drugs, and medicaldevides; aod 'acme enlist as part of research protocola.
Several simples say illustrate the importance of written guide-lines for aluimisiog the tasting requirements and the use ofanimals. .The Canter for Food Safety and Applied Nutrition (CMS)bse leaned 'Toxicological Prisciples forthe Safety Assessment ofDirect Food Additives and Color Additives Used in Food. This
document introduces 'concept of concern' which utilises tiered
86
83
system for developing information for safety assessaent. Aprocedure is Outlined lobar* for the purposes of deciding theextent ofloxicity testing :waded
to determine safety, a compoundis placed into one of three levals.of concern. Initially, infor-metiou on structure-activityrelationships and exposure data orestimates is'used to assigns compound to a concern level. Thedocument also lists the tasting requirements for each concernlevel: the filmset number of tests beiog required for Concern Leveland the eost extensive testing for Concern Level III. Testguidelines are included. The CPSAS specifically states that,'While this scheme does not preclude a petitioner from denonstrat-ing safety by using other typos of data elements, a submission
using the Agency's echoes should normally provide sufficientscientific data to.demonstrato safety.'
The Center for Veterinary Midiciue (CVM) is proposiug a document,General Principles for Svaluatiog the Safety of Compounds Used inPond-producing Aniaale for widespread distribution and use. Thiscontains guidelines for (1) metabolise studies and identificationof residues for toxicological testing, (2) toxicological testing,(3) threstold assessment, (4)
establishing a tolerance, (3)approval of methods of analysis for residues, ind (6) establishingwithdrawal,periods. The CVM says in the introductory section thatthe sponsor is'required to furnish information showing that resi-dues in the edible product's of treated animals are safe and theguidelines are intended to inforn sponsors of the scientificinformation that provides an acceptable basis for such a determi-nation. The 'Principles document specifically states, 'Sponsorsmay rely upon the guidelines with the
assurance that they describeprocedures acceptabli to M. TheY also give a sponsor theoption to use other procedures but caution '1... the sponsor todiscuss the propriety of the alternative procedures in advancewith 7DA to prevent the expinditure of money and effort on activ-ity that say later be dolled t4 be unacceptable.' The OH is alsoproposing a document regardinvetarget Animal Safety Guidelinesfor New Anise' Dross.' Thiadocument addresses guidelines.forsafety determinations of sew animal drugs tajgalanimmls for ehicha sew drug may be intended. The CVM says Isla introductorysection that These guidelines...should remain flexible to allowscientific discretion in the design and animation of studies whichwill yield the maximum information ou a product.' The guidelinealso recommends that 'the protocol be subaitted...before the trialbogies.'
tn a draft of 'Contact WIS Product Guidelises. the Center forDevices and Sadiological Smith (CUB) has suggested protocols forstudies to provide data to fulfill requirements for toxicologicaltesting, cheuical testis', microbiological tests mid for clinical
2
84
studies of contact louse products. They also list some possibletests that provide alternatives to the use of animals andencourage efforts to Continue the development of such tests. TheCNA says that the guidelines have been designed to answer mostpreliainary questions, but emphasises *...that each potentialapplicant (IDE or PHA) for a contact lens product should consultmith the Division of Opthalmic Devices (Ciall) prior to the startof any teats if unusual situations arise or if the sponsor hasspecific questioos about the study design. This consultation lesure to clarify the partioent requirements and to eleplify theprocess of coapiling your application.'
There ere °Guidelines for Preclinical Toxicity Testing of Investi-gational Drugs for ituaan Uses issued by the Center for Drugs and
liologics (CDD). These contain recommendations for the types oftoxicologic studies in laboratory animals ehich must precede thevarious phases of clinical investigation of nem drugs. Vith theseguidelines, a major objective is to get the maxiaum amount ofintonation with the aininum number of tests.
Efforts ere continually made to iaprove present test requirementsand there are maples of modifications resulting in the use of
tamer animals. The OM has modified test to deteraine animaldrug tolerance in a way which has reduced the number of animasper test froa 20 to not sore than'four. CPU has sada revisions
over the past 10-12 years in guidelines for assessing potential'
toaicity of contact Ukases abich resulted in reducing the emberof mauls par test froa-72 to 12. And final eaaapla, CDD has
replaced animals coapletely vith chsaical tests for deterainingpotency of some biological products.
Tha review of tastiog and rasearch requirements and procedures has
shown that the process of re-evaluating and iaproving tests as thescience and knowledge base isproves has been on-goiog for a number
of years. As a result, there have beenieductions In the nuabersof animals used in some tests, elisination of the need for aniaals
In some tests sod formalisation of reiearch and testing guide-lines - all of mhich contribute to an overall effort to derive the'minus benefit from the anima use of animals.
3
approximated from an acute toaicity study, rather than derivedfrom a classical LDso test.
Tha Coda of Federal Isolations (21 CFR 202) specifies informationfor physician lobelias of prescription drugs. An ovardosage
85
ISSUE #2 Do FDA procedures in any way indirectly stimulate theperpetuation of the LDso toot even though tha agency no longerdirecilf.requirss this os* of this.tastf
FIRDIM081
As can been seen from Tables 1-9, there are mum testingprocedures requirod throughout ths Agency to characterise thetoxic properties of chemicals, and it is clear that, in general,they do not directly or indirectly perpetuate the use of thetraditional LDso test.
At a morkshop on acute studies, sponsored by FDA, on November-9,1983, ths conclusion sas reached and a statement made that FDA hesno regulations requiring use of ths LDso test. It sae alsostated that an approximation of this valmo is sufficient for allexcept a few highly toxic dross such as some cancer Chemothera-peutic agents. However, during this study, the Steering Committeefound that there is a Cods of Federal Regulations (21 CFR Part430) requirement that each of three antitumor antibiotics, becauseof their Inherent toxicity, have LOso data prior to batchrelease. The Committee also learned that ths Agency iscoosidering aliainatiag.this reqUiremant. Several lustancas Imrefound vhara references to Os LDso test still valet, eventhough than are imagining
requirements for tips test. In everycase, changes are being made in order to sea the Agency positionabsolutely clear.
A reference to LDso in the preamble to the Good LaboratoryPractice (au) logulations (43 IR 39986) WAS inteuded to clarifythat if the test okra dons, it mas subject to the regulationsobits data froa tha tests 'miry servo as part of ths basis forapproval. This say have been aisinterpretsd to mean that thanAmmo requires tha test. The Framable is bolos revised toclarify tha meaning.
°Guidelines for Preclinical Toxicity.Testing of tuvestigationalDrugs for Roman Use,' shIch have Om lo asistesce for many years,contain references DJ LDso values although ulth emphasis onthe greater need to characterise tha doss aud tima relatioushipsof toxic effects. Ths guidelines will ha noised to state thatLDso values presently specified for drug cashisatlous say be
89
4
86
section includes oral LD50 values, if available, but the Villne
mead not be statistically precise and is often derived from an
acute study.
the MAR guide on 'Toxicolosical Principles for the Safety
Assessment of Direct Food Additives and'Color Additives used in
Food provides guidance for the conduct of oral LDso studies.
However the guide eaphasises that this is not a required test and
that °am) values are tot as useful as other indices of
toxicity derived from acute toxicity studies." The test protocol
is included for use in the rare event no other test will suffice.
Tbe COSS draft guidelines for contact lens products require acute
toxicity_data on contact lens solutions and state that submission
of LD30 data is AUG of sereral ways to fulfill this require-
sent. The Center has dstereined that appropriate safety inforea-
tion can be ebtaified from an acute oral study of contact lens
solutions without the seed for a traditional LD50, and final
guidelines will reflect this decision.
In addition to these specific references the Steering Committee
found that there my be instances where ;saucy and industry
scientists use the term "LAW when they actually. mean acute
toticity studies. The casual *Isom of this term aay be a con-
tribUting factor in the eisunderstanditg of FAA requirements.
Some confusion slay also result from the fact that when the FDA,
through its Rational Canter for Tozicological Research (RCTR),
conducts tests for other agencies Alma tests ley involve LD50
daterainations to meet someone alsals legal requirements.
The Centers have begun to take steps to resolve soy eisunderstend-
ing in terniG In-addition, lost older guidelines have been or are
halal rewritten. Through review mechanisms in place and current
heightened awareness on the part of Ageucy personnel, written
requirements describing new or revised guidelines will reflect ass
position that use of this test should be avoided except for those
rare situations where to alternative exists.
5
90
. 87
ISSUE .3 - Is FDA staking maxima use of and encourasing thecontinued development of reliable in vitro alternatives to in vivomethodologies?
IPIEDINGS
Every Center within PDA bse been involved for a number of years inthe development and assessment of alternative approaches toreducing the use of animals. There are specific instancea whererequirseents.for animal tests have been diainated or Are beingconsidered for elimination as the reliability of alternativeprocedures is validated. For example,cell culture systems havebeen shown to be equally or sore sensitive than mice, suinea pigsend rabbits in tests for extraneous microbial agents that say bepresent in inactivated products such as poliomyelitis and rabiesvaccines and for similar tests of live virus vaccines such asmeasles, eueps,,rubella and the oral poliovirus vaccines.Appropriate changes-in the current additional standards for thesebiological products vill.be made to delete the requirement for theuse of animals in testis'. Also tbe use of cell cultures fortesting the presenccof residual live virus in inactivatcdpoliomyelitis vaccine Is being evaluated to determine if they areas reLieble.as =okays. Preliminary results indicate that thecell culture systems say be nom sensitive. Por medical deviceproducts, approval has been given for industry to substitute avariety of ebonite' and cell culture tests forlajdatests ofnaterial toxicity and Identification and for (panty control.Pyrogen testing of drug products and biological products ischanging from using rabbits to vales the Linulus Ansbocyte Lysate(LAL) assay to determine the presence of bacterial ndotoxins.Guidelines addressing this change have been proposed, and commentsreceived an thee are currently being reviewed. In fact, emseanufacturers Wive already received approval to substitute LALteats for the use of rabbits. Attempts are beim sada to developlullateethods to replace animal tests premantly used for&swim foods for protein quality (PLR) and vitamin U coatent.
imunothemical and biochemical techniques are being adbetitutedfor animas to deternios the potency and purity of wee biologicalproducts. 'Analytical methodology au& as spectrophotonetry isused to assure potency of seniegococcal and poeumococcal polysac-charide Ucelu011 and chronstography Is used to &itemise theidentity and 'pleader configurations of eau products usingrecombioant DNA technology. -Single radial lenunodiffusionprocedures are used to determine the potency of isfluensa vaccinesaud are also curreutly being evaluated for determining the potencyof rabies mod inactivated poliomyelitis vacclues. The utility ofnsyne-lioted innumesay (ELLA) and redloinnunoessay (RIA) is
6
sti
88
also being evaluated as a suitable replacement for potency testingof poliomyelitis vaccines vhich currently requires the use of
monkeys.
Samara and development of a number of other alternative methodsis being conducted or supported. Tissue culture, cell culture andubcellular cultures are beim evaluated for the application totest for many substances such as heparin and protamine sulfate.
Genetic probes, developed through advances in recombinant DNA
technology, are betas investiseted for their application inassessiog virulence and pathogenicity of food borne bacteria.Probes are now available for scharichia coli, and ?ermine
anterocolitica with probes on ar vsloPmsot for Sir-irra,tWMTabacteriejuni, Clostridium ,perfrinaans, Sac llus cereus,
Tibrio chefa, falaon.11a and dostridium botulinum. The Agency
IITWIErwingstuBirirrell curnririaids using cornealepithelial stromal and endothelial cell Linea and use ofprotozoan species as alteroatives to the uee of animals for
identification of ocular irritants.
Par cosmetic insradients, in Atte tests using ocular tissue
cultures and cadaver skin in-EU-Praia cell are now usedfrequently to provide information on skin sensitisation andpircutansous absorption of cosmetic ingredients.
Unscheduled DMA synthesis simaian call transformation, mouse
lymphoscand the Ames Sal;onslla Reversion test are being
investigated for their value in providlog information on food
additive aad coutaminant tonicity.
Scientists at the WTI also uss in vitro methods and procedures
for variety of research purposasrMiss include primaryhepatocyte cultures for setsbolism tudies sod the Chinese Masterovary calls sod the Ames teat to determine mutagenic effects.Microorganisms such as bacteria, yeasts and fungi, ars being used
instead of aninals to assess the tonicity of eovironmentally
important ebonies's.
Mem scientists are keeping abreast of activities outside ISA
through attandaoce at scientific meetings, workshops cerise of
scientific literature and professional interaction illth other
scientists in acadeni: mod lodustry. Some scientists serme as
members of advisory penels or as Primary consultants to Profes-sional societies or other organisations involved in studying the
use of alternative methods such as the Society of Toxicology and
the Johns-Hopkins Mater for Altiroatives to Animal Tisane.
7
92
89
The Agency as a whole is actively keeping abreast of and consider-ing non-animal models for use in both research and tattles.Sooner, it is sat likely that requirements for the use of animalswill be eliminated soon. ifforts to reduce the use of animals,while still providing sufficient data to evaluate the toxicity ofcompounds, will continue at as great a pace as scientificdevelopments justify.
a
93
90
ISM 04 - Are mechanises in place to ensure continuing
comp lance with the Animal Welfare Act aud with the highest
standards of anisal care?
FIWDINCS:
The 7DA's laboratory practices comply lith the Animal Welfare Act
as well as with other standards for banns care and use of
anise's. All Centers have acceptable procedures, but they vary
from Canter to Center la specific details. POr example, two
facilities have full accreditation by the American Association for
Accreditation of 'Laboratory Animal Care (A4ALAC)421 other
facilities have acceptable aelf-assesement procedures for assurins
proper animal care.
Accreditation by AAALAC is sought an a voluntary basis becauie it
represents the hishest fora of approval for laboratory standards
for antmal care. It Involves a vlsit and evaluation by imports in
laboratory animal science who submit detailed report to the
Council on Accreditation. Accredited facilities submit Annual
status reports asd are sits-visited at Least every three years.
Pull accreditation-le accepted by the national testitutes of
lealth as assurance that the saint facilities are evaluated in
accordance with Public Inith Service (ABS) policy. In addition,
there are procedures, other than through AAALAC acareditation, for
assuring adbereuce to ;caper animal management practices also
accepted by the PIS as appropriate amd adequate. this isalsies
assurance by a respousible official that there hes been a
self-assessaent and the facility (1) accepts as Emulator, tUe
'Principles for the Care and Use of Laboratory Animals,' (2) is
committed tolapleeentiag the recommendation contained in the
°Guide for the Care and Use of Laboratory Minis, and (1) is
complyteg sith the Aetna Relfare Act and all other applicable
federal statutes sad regulations. Although sat AAALAC sacretited,
the other ISA laboratories follow these PIP staadards as vell as
FDA's OLP regulation. Inemplae et the types of mechanisms the
various Centers etilin.to ensure 110 staadards of animal care
are discussed below.
The nisei facilities serving the Office of'Siolosics leesarch and.
Saslow (OSAR) in the CDS sad the fecilities.of the ICT1 are both
fully accredited by &MAC. loth have fOrmal procedures for
intorno their staff of the policies au the care and use of
annals. Aeon other this's WTI and 0111 have adapted an
°Animal Use Form for Inparim:ntal Protocols' amd require every
inestigator vein animals to provide a Comeittee oa Care and Use
-of Animals with detailed information for anisettes of the
protocol. Investigators are required to Worm the COsmittes of
9
9 4
91
any changed in the protocol which marbe required during thecourse of the project.
OWN has an Animal Welfare Committee that provides seneral over-sight in the planning and conduct of intramural research. CVNrequires that study designs be reviewed and approved before aproject is initiated and that all nonclinical projects be moni-tored in accordance 'pith an established quality assurance program.The staff, uhich includes two veterinarians certified by theAmerican College of Laboratory.Animal Medicine is yell qualified.Some staff have received American Association of Laboratory AnimalScience (AALAS) technician training and others have had in-housetraining.in the proper care mid haodlisg of animals. The Centeris moving toward AAALAC accreditation.
The Division of Toxicology in the CFSAR also has a protocol reviewcommittee which rwelews studies for compliance with establishedguidelines prior to commencement and the CFSAN has a qualityassurance unit which monitors all the Center's laboratory studies.Two veterinary medical officers on the staff are responsible forassuriog proper animal care.
CORN and the Office of Drug Research and Review (0911), CDS, bothconduct relatively limited animal research and therefore monitortheir work. differently from the other Centers. CORR utilises theMAW accredited animal welfare committee in the nu, cps, toprovide oversight and assistaece. The ODRA, CDA, hes no formalcommittee, but assures, through responsible supervisors, thatstudios are conducted in conformance with appropriate standardsfor &alma' care.
Slth regard to extramural progress, the Agency requires that all&verde* institutions abide hy Witten NB folic/sad procedures.This includes (1) havi41-12 Placa a Program of salmi aro 'blebmeets federal aud Department standards, (2) providieg throughAAALAC accreditation or defined self-assessment proceduresassurance of Institutioeal conformance, asd (3) seintaislogananimal research cammittes to provide oversight of the institu-tion's animal program, facilities asd associated activities.
In summery, the VD& has procedures for assurisg that its intra-mural mad eatramural programs aud practices comply 'pith highstandards fOr animal care and welfare. gy virtue of the eaters oftheir Program requirements amid the amount of research or testinginvolviug the use of =lisle, some Centers bus more formalprocedures then others and more veterimery staff capabilities.The Agency will continue to immure adheresce to appropriatestasdsrds and will centime to improve facilities sad proceduresto establish end maintain superior standards throughout theorganisation.
10
92
ISSUE PS - Is the historical usefulness of animal tasting insigamilth protection, tbe primary sission of FDA, properlyappreciated by our constituents?
PinDIMCS:
As indicated in the discussions of the Steering Committee findingson the first four issues, FDA practices aud procedures demonstrAteappropriate and humane use of entails and the Agency supports thedevelopment of alternative tests. Development aud evaluation ofprocedures to einimise the uee of animals is a continual process.Swayer, it is a fact that the use of animals hem been audcontinues to be essential to determine the safety of productsregulated by FDA. It is important thst this requirement berecognised and understood along with the importance of promotingproper use of &nisei..
The FDA uses a number of mechanises for communicative its need tous: animals in fulfilling its responsibilities to protect publichealth. These include attendance aud participation by Agencypersonnel in meetings, uorkshops, conferences, symposia, etc.,which provide opportunities to discuselDA responsibilities,requirements mid actions. In addition, IDA, through Talk Papersand publications such as the DA cumemmEt aud the /DA, Veterinar-ian, reaches other segments dritii-id7rE to info= WirirtEiactivities. The Office of Legislation and Information responds toCongressional inquiries in these areas. Throveh the Office ofAcieuca Coordination, VOA has been rempondiug to public. inquiries(as has the Office of Consumer Affairs) aud hes teen laterectingwith the Office of Technology Asseameent in their assessment of`Alternatives to Animal Use In Testing and Isperimentation.'
The methods of communication mentiould above primatiii reach thepublic at large and are useful aud leportant. Just se important,however, is the issuance of guidalinms describing testing require-ments ant-protocols. These ere essential to ludustry sP14 in swotcases provide a rationale for the requirement.
Although these mechanisms do iot fame exclusively on animalwelfare, they are sell established procedures for communicatingwith the broad range of IDA coustitemmts. It Is difficult toassess formallylow successful POi bee beet la creative an&intense& of the essential role animas play, but results, of pollsover the past several years indicate &high degree of publicawareness aura approval of the Agencies role la both home andanimal health protection.
Through the channels mentioned shove sod through a renewed,
11
-9 6
93
concerted effort to be certain that-industry understands Moneyrequirements, PDA will continue to place the use of animals inproper per3pectiv. It will also continue its policy to improvethe welfare of animals and to examin its requirements in anffort to reduce the numbers of animals needed.
.9762-314 0 - 86 7 4
12
94
Recommendations
As a result of its review of Agency practices and procedures,the Steering Committee has the following recommendations.
1. Under the sponsorship of the Office of the Commissioner,organize and conduct a series of leskshops addressing thefollowing issues:
a. zmhi_xaitAcutetozicitsturedhrohouttheenc
This would be attended by research and regulatory staffand deal with rtquirements.for sponsors and for FDAstaff. Tbn objective would be to assure that everyoneuses the same terms in dealing with industry and also toinform staff members from each Center of therequirements in other Centers.
b. Use of in vitro alternatives by various Centers
The focus mould te on the scismce, but an objectivemould also be to mate staff umbers in each Canter awareof the way other Centers utilise in vitro wathodologies.The Committee found that a number GT-a-live methods areunder development and also that some of the same basicmethods ars being used in different Centers fordifferent purposes. An eachaege of information andviews would strengthen the Agency science bade in thisarea.
c. Mency and PM practices and orecedures for the care andhand ins o animals,
As with the other areas, practices very from Center toCenter and Agency staff seam can benefit by sharinginformation. It would also preside an opportunity toWorn staff umbers of developments at 11/8 and in someother agencies since 7DA participates with them in tbearea of animal welfare.
2. fttablish an Agency-wide aninal velfare committee. Thecommittee would be interdisciplinary and function as aresource to the various Centers ad to the Commissioner. It
would not have oversight responsibilities, but would beadvisory in nature.
95
TAKE 1
CATEGORY: DIRECT FOOD ADDITIVES AND COLOR ADDITIVES* AIDUMW! FOOD ADDITIVES
PURPOSE: Petition, Regulatory support
Stud Test Period Animals Used
Amite oral.
Short term oral(cont. exposure)
7-14 da.
28 da.
rodent
rodent
Subchronic oral 90 da. remt90 da. rrodent
Chronic 12 mo. rodent12 mo. non-rodent
Carcinogenic potential short term variable
Carcinogenicity 24 mo. rodent
Combined Chronic/Carcinogenicity 24 mo. rodent
Teratogenicity 6-18 da. rodent,rablgt
teproduction vitera- multigeneration rodenttam phase
Absorption, distribution,metabolism & elinination
Ileuro-bebavioral
luunotoxicity
tut dependent test dep.
tut dependent rodent,rabbit
test dependent rodent
* For otber than food colors, special tests mold be required.Examples are colors used (a) in cosmetics in tba area of tbe eye, (b)in contact eitb mucous emehranas, (0 in autvres, and (d) inparenteral solutions.
14
9 9
96
.
Om boar Jubilation
Ant Inhalation"
$le Irritation.
Osimil.Irtitation
Maar, -aklaorivelwity
Okla asusltiastlon
Obototoulelty
10 0
97
TABLE 3
CATACORT: 10121TION
PURPOSE: Nutrition labeling, ragulatory r.:ort
Stud Test Period Animals Used
Protain Quality
Vitamin D Bioassay
28 da. rodent
18-23 da. rodent
loi 16
98
2AJLE 4
CATEGORY: CMENICAL, SZOLOOICAL COOTAMIMANTC
!DEPOSE: Regulatory support
Atudy
Subchronic
Test Period Animals Deed
Chronic
Seafood toxin assays
MicrobiologicalAssays
Chemical contam.assays
Metabolism
Mauro-behavioral
Lesunotomicity
102
90 da.90 da.
12 so.
test dependent
test dependent
test dependent
test dependent
sin. swintdog
dog
rodent
rodent,rabbit
rodent
test 'dep.
rodent,rabbit
rodent
17
99.
TABLE 3
CATIONT: MEAL= DIVICRS, OTRIR DOVICRS AND RADIOLOGICALIMODUCES
PURPOSE: Petition, legulatory suppnrt
Study Test Period Animals Used
Ocular irritation 3 wk. rabbitscorneal metabolism (Class III
contact lens materialssolutions)
Sensitisation Study (Clime/II optbmalic products forintraocular use)
7-14 da. guinea plg.
Acute Systemic toxicity (Class 4 da. rodent/II opthalmic deviceproducts)
Color additives (Cisss /IIoptbalmic device products)
Same tests as for color additives(see Table 1).
Siomaterial implant study variable rabbit, primate(Class III opthalmic products catfor intraocular use)
Acute oral toxicity 14 da. rodent(Class III contact lenssolutions)
Primary ocular iiritation 3 da. rabbit(Class III contact lensaccessory products)
USP Intracutaneous test 3 da. rabbit(Class III opthalaic productsfor intraocular use)
Other devices A radiologicalproducts
Tests hiet dependent on device/product and intendad use. Determinedon casn-by-case basis.
1 0318
100
TABLE 6
CATECOLY: NINI VETERINARY DIMS
PURPOSE: Petitions, regulatory support
Stud Test Period Species*
Safety, Efficacy
Drug tolerance
Repro. studies
Tissue irritation
Cosbination drug
Drug disposition
Saute of admin.
intreammary infusion
Sehavioral
ust dependent
1-3 vbs.
specles/test dep.
drug dependent
coda. dependent
test &pendent
drug dependent
8-lb da.
110
target species
target species
target species
target species
target species
target species
target species
dairy cows,goats
target species
* Target species Is tbe animal In sbicb drug is to be used.
19
104
101
TAME 7
CATEGORY: MEN VETERINARY MINCE, 7000-PEODUCENG ANIMALS
PURPOSE: Petitions, regulatory support
Study Test Period Eoecies*
Subchronic oral 90 da. nonrodentrodent
Chronic oral 6 mo. rodent
Chronic oral 12 ao nonrodent
Carcinogenicity/cemb. chrinic 2 yr. rodent
Hormonal 6 no. sonkey
Carcinogenicity 2 yr. rodent
Tratogenicity 6-18 4a. rodent
Seproduction/teratogenicity 2 generatiens rodent
Special studies (xssrs- test dependent test dep.toxicity, cardsfv:ticular,behavioral, etc..11
Carcinogenic potential in vitro variable
20
1 5
PM MI NW MN
bpsend ThansticUN
a
MOM bq ipplistion rogolatory
MINAI. awn UV= JOSIA113 IT MOM fOLV
Won isitiol(Phan Ohmtolsrsoce study
Wore only(Nu II)two MoteWiese; itudy
Won Wort ateodedisciodiel (Moos til)mon of ssfoty/efficarychildbonig Italy
total
Worelionotig
1 - fn4i (sip,santhities,dispostics (nonly)sotoors1)
pitobd.
tn.
lliliatesi Ns (anditopsoil ditsp)op, Ng eat Invlos iftlitiaisi email OviedoU snail sodautorinly soil
WO.
11:prlotord1topicals)
Wit .
VAIrabait
0101DarrIMBIM
eon intim Anom Wen now torttmt
rot.
iI
Lager obs thor runcalk toutil se spprop.(to 13 IL) if rod.notedmi.IMMOd
Non fitter now tether
Pietudiutilissaum)bd.bo-tod
MIMI°ihred
Cord Mtn-
"PIM'
ooso few(ehrolic to.
cottimi.Italia earOdd
* Noted Km what II patties dm fat ad dr4s (to Write aborptios) al sed stageran satins don lot topical or ionlation apt
** Vis11, stdy bestial opplopira to phose It (Leal op to 13 ads) moils pisse I.
103
TARE 9
CATEGORY: Riologic ProductsPURPOSE: Product Licensing. Product lat Release
PRODUCT ITPR Test Period ANIMALS USED
All biologics adainisteredby injection
General Safety
Pyrogenicity
7 da.
4 bre.
Wines pissmiceRabbits
Anthrax Vaccine Potency 24 da. guinea pigs
ICC Vaccine lypersensitivityPotency
4-6 vita.
6 eke.Gaines pigsGaines pigs
Sault.= Antitoxin Potency 7 de. lice
Cholera Vaccine TbxicityPotency..
72 bre.14-18 da.
MiceMice
Diphtheria Toxin Potency 40-66 bre. Mice.
Diphtheria Toxold Potency 5 eke. guinea pigs
Diphtheria Antitoxin Potency 7 de. Adam pigs
Pertussin Vaccine ToxicityPotency
7 de.28-31 dn.
MiceMice
Plague Vaccine Potency 4 eke. Mica
Tetanus Sono id Mammy 5-7 dm.. Gaines pigs
Tetanus Louse Globelin Poway 7 de. %lama pigs
Tuberculin SafetyPotency
6 eke.18-24 bre.
Odom pigsdaises pigs
22
107,
PRODUCT
Typboil Vaccine
104
WILE 9 - CONTINUO
ITPZ
Potency
Teat Per loft 38111h1.8 V51:D:
10-17 da. Rice
Immune Serum Globulin Potency 7 da. Guinea pigs
Sepatitie S Vaccine Safety 21 da. MiceSafety 14 dm. Suckling miceSafety 24 uks. ChimpanzeesPotency 28 de. Mice
Measles Virus Vaccine Safety 21 da. MiceSafety 14 da. Sudbling miceSafety 17-21 da. Unstop
Mumps Virus Vacedne Safety 21 da. RiceSafety 14 da. Suckling miceSafety 17-21 da. Monkeys
Seasles Virus Vaccine Safety 21 de. MiceSafety 14 da. Suckling miceSafety 17-21 de. llookeys
Poliomyelitis Vaccine Safety 21 de. MiceSafety 17-19 de. MonkeysPotency 21 de. Vodkas
Poliovirus VaccinZ Safety 42 de. Guinea pigsSafety 21 da. MiceSafety 17-21 da. MonkeysSafety 8 sks. RabbitsSafety 14 de. Suckling mice
Salads Vaccine Safety 21 de. MicePotency 23 de. Nice
23
108
105
Assam mum COMFIER ON AN/MAL RELEASE ISSUES
Mr. Allen Skim, ChairmanVt. Arnold Dorsett!, ViceOairman
Br. Richard BradburyBr. Mary Ann Dansllo
Br. Bennett RlisbergBr. Vera OlocklinDr. Sidney Breen
Dr. Attila RadarBr. Ranneth Krell
Dr. Neil Littlefield
Dr. Robert OsterbergDr. Boris Shore
Br. James Vickers
Mrs. Peggy Perry, RsecutiveSecretary
Office of Science Coordination
Office of Science Coordination
Centor for Veterinary MedicineSpecial Assistant for Science,Office of the ComaSisionar
Canter for Drugs and BiologicsCenter for Drugs end BiologicsCenter for Food Safety andApplied Nutrition
Office of Regulatory AffairsCenter for Devices and RadiologicalNsalth
National Center for ToxicologicalResearch
Center for Veterinary MedicineCenter for Devices and Radiological
lealthCenter for Drugs and Biologics
Office of Science Coordination
0 9
24
106
Dr. GUEST. As a part of its overall effort to reduce or avoid un-necessary testing methods, FDA has been carefully examining theuse of the Draize eye irritant teat which utilizes test rabbits. Unfor-tunately, the Draize test is still the most reliable method for deter-mining the potential harmfulness, or safety of a product instilledin the eye, such as ophthalmic drugs and devices and some cosmet-ic products.
FDA is considering alternatives to the rabbit eye test and toother animal protocols. Among the assays which show promise ofreplacing the Draize test are cell culture methods using cornea andother cell lines. In addition, in vitro cell culture research using aprotozoan species as a model for identifying ocular irritants andtissue culture method utilizing excised cornea from animals or eye-bank eyes are being investigated.
It is my understanding that a number of toxicological laborato-ries are now involved in testing a battery of sensitive in vitroassays reported to be useful in ranking as mild to sPvere irritants.However, these assays need further development and cannot fullyyet replace the Draize test.
Complete validation of an assay requires that it be tested on awide spectrum of compounds, in many different laboratories. Invitro fmdings must be related to in vivo and the results must indi-cate that the assay is predictable, reliable, and reproducible.
Again, Drs. Rall and Willett have already commented extensive-ly that is going on and is planned at NIH to reduce animal use. Wehave a number of those things going on at the Food and Drug Ad-ministration, and rather than detail that at this point I would liketo submit that for the record at a later time.
[The information follows:]
Page 65Lines 1452-1457
107
SUBMISSION FOR THE RECORD
Subcommittee on Science, Researchand Technology
Committee on Science and TechnologyHouse of Representatives
May 6, 1986
ill
108
National Center for Toxicological Research
It is generally considered that chemical carcinogens act through amechanism which includes damage to the DNA of the exposed organism.These types of chemicals have been called genotoxins, i.e., toxic tothe genome. A multitude of short-term bioassays have been developed inan attempt to detect these types of carcinogens including bacterial andsomatic cells in culture. The NCTR has used several of these systemsto help predict the potential carcinogenicity of a chemical; theseinclude the Ames Salmonella/microsome system; the Chinese hamster ovaryhypoxanthine guanine phosphoribosyl transferase system (CHO/HGPRT); theCHO/sister chromatid assay (CHO/SCE); the primary hepatocyte/DNA repairsystem and gut flora metabolic activation. These assay systems are invitro systems and do not use treated animals and are useful only in 76117is our present understanding of how genotoxic carcinogens act. Allof these systems can be utilized solely as in vitro systems or can becoupled to the whole animal in an in vivo/in viIiiiapproach.
Ames Salmonella/microsome assay:
This assay is dependent upon reaction of a chemical or metabolite withthe DNA of a specially constructed bacterium. The DNA damage producedmay be transmitted as a mutation to the progeny of the treated parents.This mutation can be quantified as the ability of the cells to grow ina medium devoid of the amino acid histidine. When a population ofthese bacteria are treated with genotoxic carcinoaens the response is
_usually dose-dependent. Many of the mutagens detected in this systemhave been identified as animal carcinogens, hence its applicability topredicting the carcinogenic process. This system is generallyinsensitive to non-genotoxic carcinogens.
CHO/HGPRT assay:
This assay is dependent upon reaction of a chemical or metabolite withthe DNA of the CHO cell grown in a tissue culture environment. The DNAdamage produced may be transmitted as a mutation to the progeny of thetreated parents. This mutation can be quantified as the ability of thecells to grow in a medium containing the guanine analog 6-thioquanine;cells resistant to this analog have lost the purine salvage pathwayenzyme HGPRT. When a population of these mammalian somatic cells aretreated with genotoxic carcinogens the response is usuallydose-dependent. Many of the mutagens detected in this system have beenidentified as animal carcinogens, hence its applicability to predictingthe carcinogenic process. This system is used to complement the abovesystem and is thought to have more relevance because the genome studiedis mammalian and not bacterial in origin and theoretically would bemure predictive of the animal bioassay and from there the human. Thissystem is generally insensitive to non-genotoxic carcinogens.
n
109
CHO/SCE assay:
This assay is considered to be dependent upon reaction of a chemical ormetabolite with the DNA of the CHO cell grown in a tissue cultureenvironment. It has also been shown, however,
that alterations innucleic acid pools can lead to increases in SCEs and suggests thatperhaps carcinogens which 7...ffect pool size will be detected. The assayis dependent upon the ability to incorporate bromodeoxyuridine (BrdU)into the chromosome through two cell cycles and then differentiatingthe sister chromatids. It has been observed that genotoxic carcinogensincrease exchange between sister chromatids in a dose-dependent manner,hence its applicability to predicting the carcinogenic process. Unlikemutations, the relationship of induction of SCEs to carcinogenesis isless well undeistood. This system is highly sensitive and has beenshown to detect both genotoxins and some non-genotoxins. A furtheradvantage of this system is that
any cell which replicates can be usedincluding lymphocyte of animals on chronic bioassay or lymphocyte fromhumans in high risk occupations or humans exposed to potentialgenotoxins.
Primary hepatocyte/DNA repair system:
This assay is dependent upon reaction of a chemical or metabolite withthe DNA of a primary hepatocyte cultured in vitro tissue cultureenvironment. The assay is dependent uponWriForporation ofradiolabeled thymidine, a precursor to DNA synthesis, into DNA duringthe GO, Gl, G2 part of the cell cycle and is referred to as unscheduledDNA synthesis (UDS). It has been observed that many genotoxiccarcinogens induce UDS in hepatocytes in a dose-dependent manner, henceits applicability to predicting the carcinogenic process. Theadvantage to using hepatocytes as the target organism is related to theability of this intact cell to metabolize a variety of xenobiotics invitro.
Gut flora meLabolic activation:
An impressive array of enzymatic reactions can be performed by theintestinal microflora on both endogenous and exogenous compoundt.These reactions both complement and antagonize those carried out by theliver. An in vitro semi-continuous culture
system that simulates thehuman largeTrifErTne has been developed at the NCTR to determine therole of intestinal microflora in the metabolic activtion of potentialcarcinogens. This approach is an interesting alternative totraditional methods, e.g., laboratory animals and bacterialmonocultures or suspensions and a new tool in defining thetoxicoluyical role of the intestinal microflora.
110
Dr. GUEST. Our hope is that these new tests will result in the re-duction of anirhals currently used in the whole animal tests.
In summary, Mr. Chairman, in recent years we have beenmaking a concerted effort to avoid unnecessary or obsolete animaltests, to reduce the number of animals required in tests and to de-velop in vitro alternatives whenever possible. It is, of course, theagency's primary mission to protect the consumer in the drugs andfoods area, and in carrying out this mission this agency must rec-ommend testing procedures which have been univemally recog-nized as valid for detecVng any ocular of an ophthalmic drug prod-uct prior to its human ule.
The acency regrets the necessity of animals being used for toxi-cological testing and has taken steps to promote humane treatmentof these animals as well to minimize the numbers of animals usedin testing and in research.
I will be pleased to answer any questions that you may have, sir.[The prepared statement of Dr. Guest follows:I
111
DEPARTMENT OF HEALTH br. HUMAN SERVICES Public Health Service
Food and Drug AdministrationRockville MD 20857
STATEMENT BY
GERALD B. GUEST, D.V.M.
ACTING DIRECTOR, CENTER FOR VETERINARY MEDICINE
FOOD AND DRUG ADMINISTRATION
PILLIC HEALTH SERVICE
DEPARTMENT OF HEALTH AND HUMAN SERVICES
BEFORE THE
SUBCOMMITTEE ON SCIENCE, RESEARCH AND TECHNOLOGY
COMMITTEE ON SCIENCE AND TECHNOLOGY
HOUSE OF REPRESENTATIVES
MAY 6, 1986
FOR RELEASE ONLY UPON DELIVERY
112
Mr. Chairmen:
Tbe Food and Drug Administration (FDA), like other components of the
Department of Health and Human Services, is actively pursuing a number
of initiatives to insure the most humane treatment po;sible for test .
animals and to.reduce or eliminate entirely requiremeAts for such tests
as the Draize and LD50.
In their testimony this morning,Ors. Rall and Willett of the National
Institutes of Health (NIH) present excellent overviews of Department
efforts to minimize the use of animal tests. They correctly emphasize,
however, that since animals are the best surrogates for humans, there
will be a continued need for their use in research in order to minimize
risk to human health. This need is reflected in the principal law
administered by FDA, the Federal Food, Drug, and Cosmetic(FDC) Act.'
FOC Act Requirements
The Act imposes on manufacturers the burden of demonstrating that their
products meet the safety requirements of the law. Apart from the work
done by the National Center for Toxicological Research in Arkansas, FDA
conducts relatively little toxicology testing of its own. Instead, we
recommend the type and extent of testing we believe necessary for a
determination of safety -- and then review the data submitted'by
manufacturers to determine wbether they meet these requirements.
6
113
- 2 -
Thus, we require that all new human and animal drugsand food
additives undergo careful testing in animals:
-- to asses.; their potential toxicityin humans;
..- to determine whether they have any teratogenicpotential; and
-- to determine carcinogenicity wheneverthere is the likelihood
of chronic expasure of humans.
Animal studies of human drugs are of particular importancein
determining whether new products can safely be tested in humans to
assess their potential therapeutic effect. Obviously, it would be
neither legal nor ethical to begin human trials of a drug until its
acute toxicity and other harmfulpotential effects have been carefully
tested in animals.
Chemicals used as drugs to treat animals or as animal feed xdditives
require toxicity teting for several reasons. One reason Is the
requirement to assure safe use in the target animal whetherit be a
food producing animal such as poultry or cattle or non-foodanimals
such as horses, cats and dogs. Another is the necessity to assure that
those chemicals used in food producing animals are safe if they become
a component of human food as a residue.
Despite the need for animal testing to some degree, FDA has already
undertaken or plans to undertake efforts to reduce the lse of animals
in research and testing and to avoid unnecessary testingmethods.
117
114
- 3 -
Acute Studies Workshop
On November 9, 1983, FDA sponsoved an acute ttudies workshop atter
by approximately 150 persons from Government, industry and public
interest groups. The purpose of the workshop was to discuss the
scientific rationale, requirements and uses for acute tAicity stud
including lethality, to clarify the regulatory requirements for acu !
toxicity data znd whether there was any longer a need for a
statistically exact LD50 value, or the dose which kills 50 percent
of a group of the laboratory animals under study.
The following consensus points emerged from the workshop:
-- There was general agreement among Government and industry
representatives that the LD50 test is often credited with
greater quantitative and scientific accuracy than it merits ant
that there are other determinants of acute toxicity such as
site and mechanism of action, early or delayed lethality and
recovery rate that are better indices of toxicity and hazard
than LD50 values per se.
The requirement for 050 tests among Government agencies
and industry is much less than that perceived by the general
Public. For example: FDA does not require the use of the
LD50 test to assess the safety of the products it
regulates.
-- Industry and Government agencies support the development and
validation of alternative methods--those usin5 as few animals
as possible.and those that use no animals.
118
115
-4-
-- United States Government agenciesare cooperating on animal
welfare issues with othercountries through organizations such
as the Organization forEconomic Cooperation and Development
(OECD).
FDA Steering_Committee on Animal Welfare
As a result of this workshop, FDAestablished an Agency-wide Steering
Committee on Animal Welfare Issuesto review its guidelines on the use
of animals and to recommend changes(where needed) to the Commissoner
of Food and Drugs. On August 15, 1984, the Steering Committee issued
its final report which called for,among other recommendations:
greater coordination among FDA Centers in the use and
development of in vitroalternatives to animal testing
instituting more uniform Agency-wide pr7ctices for the care
and handling of animals, and
establishing a permanent FDA animal welfare committee.
The recommendations were adopted bythe Agency and at present there
is an active animal welfare committee. We would like to submit a copy
of this Steering Committee's reportfor the record.
Draize Test
As part of its overall effort toreduce or avoid unnecessary testing
methods, FDA has been carefullyexamining the use of the Draize eye
irritant test which utilizes testrabbits. Unfortunately, the Draize
test is still the most reliablemethod for determining the potential
harmfulness, or safety, of a productinstilled in the eye, such as
ophthalmic drugs and devices and some cosmetic products. FDA is
116
- 5 -
ro-sidering alternatives to the rabbit eye irritation test and to
other animal protocols. Among the assays which show promise of
replacing the Draize test are cell culture methods using corneal and
other cell lines. In addition, in vitro cell culture research using a
protozoan species as a model for identifying potential ocular irritants
and a tissue culture method utilizing excised cornea from animal or
eyebank eyes are being investigated. FoL., toxicology laboratories are
involved in testing a battery of sensitive in vitro assays reported to
be useful in ranking chemicals as mild to severe irritants. However,
these assays need further development and cannot yet replace the Draize
test.Complete validation of an assay requires that it be tested on a
wide spectrum of compounds, in many different laboratories. In vitro
findings must be related to in vivo data and the results must indicate
that the assay is predictable, reliable, and reproducible.
Research Activities
Drs. Rall and Willett have already commented extensively on the
research that is being done or planned at WIN and elsewhe; to reduce
the use of animals in testing. Rather than detail specific FDA
activities at this time, I would like to submit for the record, a list
of research activities which we have undertaken to develop new and
appropriate tests which will either replace or refine existing tests.
These we hope will result in a reduction of animals currently used in
whole animal tests.
120
117
- 6 -
Conclusion
In summary, Mr. Chairman,'n recent years we have been making a
concerted effort to avoidunnecessary or obsolete animal tests, to
reduce the numbers ofanimals required in tests
and to develop in vitro
alternatives whenever possible. I should remind theSubcommittee that
the Agency's primarymission is consumer protection.
In carrying outthis mission, the Agency must recommend testing
procedures which havebeen demonstrated to be univer;ally recognized
as valid for detecting
any ocular irritancy ofan ophthalmic drug product
prior to human use.The Agency regrets the necessity of animals being used for
toxicological testing and has taken steps.to promotehumane treatment
of these animalsas well as to minimize the number
of animals used fortesting and research.
We will be pleasedto answer any ouestions you or the other
Subcommittee members may have at this time.
121
118
Mr. WALGREN. Thank you all for your testimony.Is there some way where we can get some feel for the relative
effort that is going into alternatives as opposed to the balance ofeffort that is ongoing in your respective shops?
Dr. Willett, your office is quite focused on alternatives, isn't it; isthere other research going on there other than alternatives?
Dr. WILLETT. The section is focusing specifically en non-mamma-lian models in the cell and culture system.
Mr. WALGREN. You said that it is about $1 million worth of
effort?Dr. WILLErr. That is just what this section is entailing in its ac-
tivities in support of major resources in wills area, things that areservicing-the needs of a very wide range of the biomedical researchcommunity. The activities within NIH's research portfolio as a
whole, that employ nonmammalian systems, are the kinds ofthings that you might refer to as alternative methodologies, isfairly large, some 27 percent of the entire portfolio has been thatsince as far back as I personally have been tracking it, which is
1977.Mr. WALGREN. Now, there we are talking about alternatives to
mammals?Dr. WILLETT. That term becomes very difficult to utilize in talk-
ing about the research domain, because usually when an investiga-
tor selects the model system for the study that they have in mind,the system they select is one that is suited to answering the ques-tion that they pose. It is difficult to ask the question, are there al-ternatives to animal models in research, or mammalian models inresearch, because you would use a mammalian model when thatsystem was suited to your investigation.
Mr. WALGREN. Or viewed as suited.Do you know of situations where something maybe had been
ticae that way, but that when someone comes along and proposes a
new basis of the research, or a new model, a nonmammalianmodel, that they then have difficulty getting research with that intheir protocol as opposed to the way it has always been done?
Dr. WiLLETT. I have no real evidence for that. If you look at the
use of cell and tissue culture systems as models across biomedicalresearch since their first inception, I don't know how many yearsback that occurred, those items now are almost a routine toolwithin biomedical research as a whole. You will fmd almost any
area within biomedical research that is looking at cell, cell func-
tion, physiology, whatever, utilizes that technology. So those modelsystems very rapidly were incorporated into the portfolio tools used
by the research community.Mr. WALGREN. Has your office made awards in support of new
model development?Dr. WILLETT. No; our support so far has been exclusively for the
American-type culture collection, and this MIT Cell culture center,
and the partial support, and that has taken us to the limits of thefunds we have available?
Mr. WaLourt. Do those predate your office?Dr. WiLtzrr. The American-type Culture Center did, that was
supported by NM funds at sort of the organizational level of theoffice of the director; and then those dollars were also moved to the
119
division. The division had always had responsibility for administer-ing the activity.The MIT Cell Culture Center is a new activity.Mr. WALGIINDI. What is the dollar value of that?Dr. %urn. That is about $256,000.Mr. WALGREIi. And is there any other new activity, that you aresupporting now?Dr. WILLErr. Outside of the partial support, no, for tbe other ac-tivities that were mentioned. The Nematode Center at Missouri,which we partially support with the Aging Institute; the NationalDiabetes Research Interchange, which the division is sharing sup-port with the Arthritis Institute; and the CDNA libraries which wesupport, sharing this activity with child health.
. WALGREN. What is the measure of new activities supportedsince the establishment of your office?Dr. WiLlzrr. Through the section?The new activities would be $256,000 withroughly $500,000.Mr. WALGIUSII. Approximately $500,000out of the total is $1million at this point?Dr. WHLETT. $1.1 million.Mr. WALCIIIIIN. Let me ask Dr. Rail, then can you respond to thesame thought; how much new is going on in the area of alterna-tives? When you look at your budget and you break it up, are wetalking aboutwhat percentages are involved in the direct pursuitof alternatives?Dr. Rau. There are a couple of ways of answering that. As Itried to point out, we have been deeply involved in that since theearly 1970's. In fact, I chair, and was on the organizing committeeof an effort that NCI, and NIGMS, and NHLBI sponsored a confer-ence on comparative pharmacology, which really deals with muchof this, back in 1967.So our support has been growing, but it started at a fairly largelevel back in the early 1970's. It is somewhere between $10 and $15million a year. That does not include the new request for applica-tion, that I mentioned, on nonmammalian species and toxicologicaltesting.Mr. WALCHUIN. How much money is involved in that?Dr. RAIL. We don't know yet, this depends upon the quality ofthe grant applications and next year's budet, Which we don't quiteknow yet. I would imagine a couple of milhon dollars, but that is afigure that I shouldn't be held to.A couple of general observation& In science you look for the shn-pleat system that Works. And this actually forces science to move tononmammalian systems, which tend to be simpler and also leas ex-pensive. And that is a constant pressure that I think is going on allthe. time.Second the toxonomy isn't right to look for alternative methods.Nobody labels their research that way. So it becomes an almost im-possible task to go into a large catalog of research efforts and pickout those.In our toxiological efforts where we want to develop better meth-odologies we would describe it as development of new and bettermethodologies. If you ask for alternative tests, you wouldn't find it.
120
Mr. WALGREN. Yes; but am I not right in thinking that the Con-gress has asked for your agencies to pursue this in particular, andalthough, when you look at the research that is done out there thatis investigator-initiated, you might not see it leaping out as alterna-tives, nonetheless you are charged with administering a programthat is designed to have a purpose, and one of those purposes is thedevelopment of alternatives. What effort can we show to the publicthat is targeted and designed to pursue that goal?
Dr. RALL. I think our RFA is precisely on. It wasMr. WALGREN. RFA is that again?Dr. RAIL. Before this nonmammalian species, this is precisely
what I think you all wanted. I discussed with some of the animalwelfare people this precise project over the years.
Mr. WALcuticri. Yes; I think so, too.What I am getting at and I don't want to be undercuttingDr. RAIL. The other thing, we do this in the normal day-to-day
business, we are always looking for better methods, and many ofthose are what would be called, currently alternate.
Mr. WALGREN. Yes; but realizing that you have always done that,the question is one of how successful are we in finding it?
When we look at the budget of entity as a whole do we see thatalternatives are thin layer ofwhatever you call iton top; or arethey building in terms of that effort to occupy a reasonable amountof our budget?
Dr. RAIL. In our MTP, which is around $70 million, they areabout 20 percent. They have built up from about 8 percent over thepast few years.
Mr. WALGREN. IS a lot of that in the geneDr. RAIL. A lot of it is genetic toxicology, because some of the
simpler systems are just beautifully available for that sort of stuff..We also, of course, are interested in other things. The teratologi-
cal effects, we are trying to study by using organ culture, and soforth, and so on.
Mr. WALGREN. Let me ask you this, if you were to set aside thegene carcinogen tests, that 20 percent would be reduced substan-tially, would it be reduced to 3 percent, or 2 percent?
Dr. RALL. I don't knoW. I will-go back and look.Mr. WALGEEN. I would appreciate that.Dr. RALL. It will be reduced substantially.Mr. WALGREN. Proportional measure; it is just a way of letting
all of us know how much of an effort is going into one.Dr. RAIL And we do expect this grant solicitation will bring
forth many interesting ideas. I have scanned the applications andthey should be a lot of fun.
We are, of course, now beingwith this we will help support theJohns Hopkins and Rockefeller University effort.
Mr. WALGREN. Well, then let me ask Dr. Guest, if I am not cut-ting you off, Dr. Rall, that this same measure at the FDA, is thereany substantial proportion of funds being allocated to the pursuitof alternatives at this point?
Dr. Gum'. I think we could furnish that.[The information follows..]
124
Page 74Lines 1658
121
SUBMISSION FOR THE RECORD
Subcommittee on Science, Researchand Technology
Committee on Science and TechnologyHouse of Representatives
May 6, 1986
125
122
FDA Resources Related to Pursuit of Alternatives to Animal Testing
Although FDA does not budget specifically for research on alternatives
to animal testing, the Acjency does perform research to develop test
methods that are faster, more accurate and more reliable than animal
testing so that FDA can better ensure that food and drug products are
safe to consume. In fiscal year 1986, FDA will spend approximately
$1.0 million, including 15 Full Time Equivalents (15 people working
full time for one year each), in support of research on quality control
methods that will substitute for currently used animal tests: Funding
for the past three years has been approximately at that same level as
well.
L
123
- 2 -
Center for Veterinary Medicine
Dirofilaria Immitis (Neartworm) Model:
The University of Pennsylvania was funded by FDA to develop an in vitromodel to screen and evaluate the biochemicalproperties of comOUtinUf---against precardiac and
microfilarial stages of D. Immitis. Such amodel may providean alternative to using
domeifiriTTm species forpreliminary evaluations against developing stages of filarialparasites.
Xenobiotic Metabolism Model:
The University of California at Daviswas funded by FDA for the purposeof.developing and validating
an in vitro model that would both improveand expedite the process of assessig-Wehazard of drugs and chemicalsin food animal species. The program objectives were to determine(1) whether an in vitro model based on isolated bovine hepatocytes is abiologically acceOTErg approach for studying
xenobiotic metabolism(biotransformation and conjugation reactions) in bovine species,(2) whether the bovine hepatocyte is valid for predicting thegeneration of metabolites in the whole animal,and (3) the metabolicfate of selected
chemical substances in vivo (cattle) and in vitro(isolated hepatocytes).
Center for Devices andRadiological Health
Peripheral Lymphocytes in Culture:
The o:e of the peripherallymphocyte in short term in vitro cellcultu:-as is a basic resource in the study of
mammalrah-ZERMosomes,incluoing humans, both to determine thechromosomal complement of anindividual and to monitor changes in the chromosomes during someinterval. Techniques have been developedto permit the use ofperipheral lymphocytes to test individualsfor responsiveness tomocrowave radiation. The test detects two types of changes: (1) blasttransformation in which the lymphocytes enlarge and undergo a blast ofDNA and RNA syntheses, and (2) an immune
response in which immunemarkers increase on the surface of one or more types of lymphocytes.Both have been used to study responsivenessof different strains ofmice. The two types of responses have not been correlated.
Sister Chromatid Exchange:
Cells in culture, includingperipheral lymphocytes, can be examinedafter use of special strains to determine
the frequency of exchangesbetween the two sister chromatids of the cells'chromosomes. Undersome circumstances the appearance of sister chromatid
exchangesparallels mutagenesis; a study correlating the two types of changes wasperformed after UV radiation exposure. At present. however, the testis viewed as usefulfor monitoring and for following up exposedindividuals. As an indicator of genetic damage, the test should be
1 7
124
- 3 -
used in combination with other genetic test systems. The sister
chromatid exchange system may have potential use in monitoring
leechates from implanted medical devices, and preliminary studies have
been conducted with such an aim. A known problem for use of the
exchange test in humans is that smokers react differently from
non-smokers.
Corneal Cells in Culture:
Techniques have been developed and described for the separation of
epithelial and endothelial cells of the cornea and for establishing
cultures of both types of cells. The cell cultures have been used to
study cell responses to ionizing and microwave radiations.
Mutagenesis Test System:
Substantial work has been performed to develop and test a cell line
from a mouse lymphoma for quantitativemutagenesis studies of a variety
of substances. The uClive" strain of a standard line - L5178Y - has
been used to test for mutagenicity of ultrasound, photosensitizing
chemicals, selected other chemicals, and ultraviolet, and to compare
the mutagenicity of a series of standard lamps. The test strain
continues to b'a used widely among laboratories interested in genetic
toxicity. Data derived with this test system have been used in
regulatory actions involving light-emittingelectronic products.
Differential Sensitivities:
Separate strains of the L5178Y mouse lymphoma cell line have been
developed - H5178Y-R, which is highly tumorigenic, x-ray resistant, and
UV-, heat, and drug-sensitive; and H5178Y-S, which is non-tumorigenic,
x-ray sensitive, and UV-, heat- and drug-sensitive. These strains hav2
been utilized to examine radiation and chemical mutagenesis, and to
examine factors that relatc mutagenesis with carcinogenetic potential.
Data obtained with this test system have been used in regulatory
actions involving light-emitting electronic products.
Neoplastic Transformation in Cell Cultures:
Methods have been developed that permit direct inspection of cell
cultures to identify cells that have lost contact inhibition; that is,
crowded cells will resume proliferationand will pile up in a growth
pattern associated with cancer cell c-owth. The transformation assay
has been used to examine radiation and chemical carcinogenesis; data
from use of the system have been used in regulatory actions involving
light-emitting electronic products and photosensitizing chemicals.
128
125
- 4 -
Viral Probes:
The use of viruses has been exploited for development of methods forcellular studies of acute toxicity. To date, it has been determinedthat the ability of cells to support replication of viruses closelyparallels cell survival. The viral probes have been used to screen agroup of photosensitizing chemicals, some phototherapeutic drugs, and aknown carcinogen. The carcinogen use was associated with anenhancement of reactivation of cellular capacity to support viruses.
Cell Toxicity Reactions to Medical Devices:
Evidence is accumulating that some types of medical device materialsreact in the body and may undergo sufficient change to impair thefunction of the implanted device. Methods are being developed toexamine materials placed in tissue cultures, with cell toxicity as anendpoint, to determine what changes are aoparent in the material, andto examine the possibility that highly reactive states of certainmetabolites of the cells may be associated with degradation of thematerial.
Biotechnology Probes:
Work is under way to develop DNA probes for use in toxicity testing.At present, analysis of DNA fragments resulting from restriction enzymedigestion of DNA are.being used to detect abnormal genes. Thefragments are being marked - hybridization of the fragment withspecific DNA sequences, with viral and bacterial DNAs, and with RNAthus forming complexes that can be used either qualitatively orquantitatively to detect the presence of the substance of interest, orto locate and isolate the substance, or to observe its behavior duringand subsequent to the application of a stressor of the test system.
Cellular Immunity:
Immunological defects are present in a number of human disorders thatheighten sensitivity to radiation, and include ataxia telangiectasia,xeroderma pigmentosum, Bloom's syndrome, and systemic lupuserythematosus. Studies are underway to develop suitable cellularsystems that can be used to study immune responses. Such systemsinclude cell membrane modification (remodelling) so that the receptorareas change their functions in attaching molecules at the cellmembrane surface; and the modification of the attaching molecules -modulation of antigens. In these studies, ELISA-like probes will bedeveloped and used.
1 29'52-314 p - 86 - 5
126
-5-
Cell Chemotaxis:
Macrophages, and in certain situations monocytes may respond to thepresence of foreign substances and migrate to the site of the
substance. Methods have been developed to examine the migration ofmacrophages across of porous membrane to a diffusable substance. Such
recruitment of macrophages from implanted devices can present evidenceof materials leeching from the device. Aspects of cell chemotaxis have
been pursued in studies of ultraviolet and mic:owave effect. In
neither case was chemotaxis clearly demonstrated, although cellMigrations were observed.
Center for Food Safety and Applied Nutrition
Percutaneous Absorption Methods:
Testing is done to improve in vitro methods for measuring andpredicting percutaneous absoralTrof cosmetics. Methods are being
developed, using tissue culture media, to maintain viability of skin
during in vitro studies.
Culture - In Vitro Cardiotoxicity:
Testing is done to improve and validate an in vitro system through the
use of primary cell cultures of neonatal rarhearts for rapid andconvenient evaluation of potential cardiotoxic agents on isolated cells
from target organ tissue, and of the impact of nutrients on cell
function and resistance to cardiotoxicity.
DNA Repair in Primary Rat Hepatocytes - Procedural Aspects:
Testing is done to identify and define several methodological aspectsin the conduct of the DNA repair test with primary rat hepatocytecultures in an attempt to standarize the test for uniformity andreproducibility between experiments with emphasis on weakly active
agents and low doses of active substances.
Evaluation of S. Typhimurium Strain TA97A:
Testing is done to determine whether Salmonella typhimurium strainTA97A is more effective at detecting mutagens than strain 1A1537.
.130
127
-6-
In Vitro Transformation Method:
Te=" ,s dor develop a metabolic activation system for in vitroormation assay using BALB/3T3 cells.
In the evaluation of chemicals for carcinogenic or tumor promotingpotential, in vitro transformation is unique in that the endpointmeasured fi-T64-17Teration of cell morphology. This assay can be usedto identify aeWals not readily detected in mutagenesis assays. Thecultured cells, however, do not have the capacity to metabolize allchemicals to their ultimate reactive forms. A noncytotoxic exogenousactivation Syst& is a critically needed component.
Cryopreserved BALB/311 Clone A31-1-1 cells will be used for the study.This clone has been characterized with respect to saturation density,cloning efficiency, doubling time and responses to model carcinogens.Effort will be directed toward the development of a metabolicactivation system which can be incorporated into the in vitrotransformation assay. Microsomal fractions will be PEPIFirfromrodents and tested first for their cytotoxicity then for their abilityto activate selected chemicals to induce morphological transformationof the cells.
Biochemical Indices of In Vitro Developmental Toxicity:
The objective of this study is to evaluate interactions betweennutritional status and exposure to natural toxicants on embryonicdevelopment, file rodent embryo culture system developed andstandardizsed in previous fiscal years will be utilized in thesestudies.
Development of Biochemical Correlates of In Vitro Evaluation of NaturalToxicants: -
The objective of this study is to develop biochemical methods for thein vitro evaluation of food relatedtoxicants, specifically the use of
TWEET, explant system for the investigation of renal toxicants.
Biochemical Parameters - Macromolecular Biosynthesis:
Testing will develop and utilize sensitive methodology to study thesubtle effects of natural toxicants on macromolecular metabolism inanimal cells.
131
128
- 7 -
In Vivo and In Vitro Models for Dermal Toxicology:
This study will continue to investigate and improve in vivo and in
vitro testing procedures intended to predict human sTV-TFFitation,Wgilization and phototoxicity associated with exposure L cosmetic
ingredients or products.
In Vivo and In Vitro Models for Ocular Toxicological Research:--The objective of this project is aimed at conducting in vivo and in
vitro research to improve testing orocedures for evallialTireye
177Tration and other aoverse-ocular effects.
Isolation of Foodborne Pathogens and Evaluation of Their Relationship
to Human Disease:
Testing is designed to develop a slccific serological assay fnr the
A. hydrophila B-hemolysin (cytotb. c-enterotoxin) that is active in the
rabbTt ileal loop and suckling mouse assays. To identify virulence
determinants of A. sobria and A. caviae.
Pathogenicity and Incidence of Foodborne Microbes:
Testing will develop, design, and implement new tests for foodborne
microbial pathogens. Most of these tests will be based on DNA
hybridization methods used to detect specific genes that are essential
for microbial virulence. Effects will be made to develop syntheticdeoxyribonucleotide hybridization probes for these genes.
Pathogenicity Surveillance Mechanisms and Incidence of Foodborne
Microbes:
Objectives of this research are to purify the enterotoxin produced by
Tersinia pseudotuberculosis, develop antibodies directed against it,
Wirage1op an ilmmunological test to detect.the enterotoxin.
Collaborate with Mr. Robert Becker, FDA, Dauphin Island, Alabama, on
the screening of clinical isolates of Plesiomonas shigelloides. This
screening will be performed in adult rabbit Heal loops and-Ussue
culture models.
To isolate and characterfze the factor(s) produced by Vibrio cholerae,
strain CVD 105, that are responsible for the virulence-V-IFiririfUge.
This strain is devoid of both the vibrio cytolysin and cholera toxin,
yet continues to produce diarrhea-17E7m voTunteers.
132
129
- 8 -
Pathogenicity and Incidence of Foodborne Microbes:
The study will identify the virulence factors produced by clinicalisolates of Campylobacter species. To develop regulatory tests for theidentification of pathogenic isolates from foods.
Campylobacter jejuni/coli cause between 5 and 10 percent of allrirrhea in the United States. This is more than the number ofinfecticns caused by Salmonella spp. and Shigella spp. comb'aed. Sincethe mechanisms of pathogenicity for Campylobacter spp. are unknown,this study is designed to identify the responsible virulence factors.
Isolation of Foodborne Pathogens and Evaluation of Their Relationshipto Human Disease:
Tes*1 will veln- able laboratory tests that will distinguishpa;hqgenic fratadr -4 nit strains of V. vulnificus and otheropportunistic pathogt
Enzymati4 and ChemiCal kilitro Methods to Evaluate the Protein Qualityof Infant Formula:
The study objectives am ;urther expand the data base on the use 0in vitro methods and to tett the appifeability of selected in vitroa-WE-difor determining the protein quality of infant formuTis7W invitro enzymatic digestion method tested in house predicted moderateTTWIT-the digestibility component of protein quality.
Methodology Development - Mutagenic Testing:
The objective of this work is to evaluate and improve upon methods thathave been devised for the detection of mutagenic and carcinogenicchemicals in certified colors.
Chemical4Instrumental methods for vitamin analyses: Methods are understudy that would replace current bioassays for vitamins, e.g., the ratbioassay for vitamin D.
130
FDA Research Initiatives Which Will Replace or Refine Existing Tests
The following research activities are being or have been undertaken by
FDA to develop new and appropriate biological tests which could replace
or refine existing tests and reduce the number of animals currently
used.
Center for Drugs and Biologics
Pyrogen Testing:
Guidelines are being written and will be completed within the next
several months defining what a manufacturer must do to use the Limulus
Amebocyte Lysate (in vitro) test to replace the rabbit pyrogen test
(in vivo). Many manunalirers have already.switched from the use of
rZbirrto the use of the horseshoe crab amebocytes for testing for
endotoxin.
Plagle Vaccine:
Over the past several years FDA has had a contract with the Department
of Navy to develop a single, direct.Enzyme Immunoassay (EIA) (in vitro)
that can be used to standardize plague vaccine lots based on ffie-ir
content of the protective components. This assay would replace the
bioassay (mouse test) that is presently the only means of calibrating
plague vaccine. It appears that the in vitro test will replace the use
of mice within the next year or two.
Diphtheria Antitoxin:
The tissue culture microtiter technique involving challenge of diluted
diphtheria antitoxin with toxin in cell culture is being developed to
replace the guinea pig (in vivo) test.
Rabies Vaccine:
Reagents and Techniques for in vitro potency testing of Rabies Vaccines
using the Single Radial Immunodinglon (SRID) Technique have been
jicveloped. ,These techniques are similar to those used for influenza
virus potency testing and could lead to an improved rabies vaccine
potency assays and eventual replacement of the standard NIH mouse
potency test. An international collaborative study is beinfiliMated
and will involve control agencies and/or manufacturers from tbe
following countries - United Kingdom, rrance, Germany and Canada.
4-3 4
131
Dr. Gum. Recognize that much of the. activity that we havegoing on in the alternatives area has to do with substituting forsafety and efficacy testing, so there is a large incentive in the drugindustry and the food additives industry to move in those direc-tions because of economics and public opinion.We are uot primarily a research group, as you know. Our re-search budgets are relatively small as compared to some of theother HHS agencies.
I can cite for you a number of examples where we have spenttime and money in order to develop the apality control kinds oftests that would substitute for animal use. For instance, in severalviral vaccines we are now using in vitro testing techniques for in-stance. for the inactivated polio vaccine, for the rabies vaccine, andfor the. hepatitis vaccine.Another test that we routinely ask for from a drug .spspsor arethose things that would detect pyrogens or endotoxins injectabledrug products. The system for the horseshoe crab, ameba site testin heu of the rabbit is coming to favor and is being widely usednow.We have developed model systems to test drugs for use in heartworm therapy in dogs so that we reduce the number of dogs neededfor drug_testing.Mr. WALGREN. You have submitted for the record a list of theresearch activities. If you asked the question, thoughand Ihaven't seen that list, so I look forward to thatif you were askeda question how many programs has the FDA initiated in the last 3years in Clirect pursuit of alternatives, would there be a goodanswer to that?Dr. GUNST. I think the amount of dollars spent as relates to ourresearch budget would be substantial, but I would have to furnishthat for the record. I don't have it in front of me.Mr. WALGIUM. Let me ask you if you would furnish that forrecord so that we can focus on those last 3 years to Jee what is de-veloping. And that is the real question, whether there are somethings happening that we can be encouraging and that you are ob-viously seeing before we see them.Mr. lloehlel.t.Mr. Boamarr. Dr. Willett, are NIH grants reviewed to insurethat animal use is cut to a minimum?Dr. %um. Not directlybut I exti going to answer, yes, in thefollowing sense. That when a research proposal is reviewed by the
peer review group examining it, they will look at the suitabihty ofthe systems that the investigator is proposing for use to obtain theobjectives he says are worth obtaining. That will include, if heusing an animal model, what one he is going to use, why he isgoing to WM it, how many, et cetera. To the extent that that wouldbe inappropriate mr the eves of his peers Li the science community,it would definitely be reviewed.Mr. Bowman. Have you ever canceled any projects because ofstate and Federal regulations on animal research?Dr. WILLIFIT. Have I?Mr. BOWILERT. Well, NIH?Dr. %LLCM. CancJed fesearch projects; yes. There was one casein pointyou mean prior to review or-
43
132
Mr. BOEHLERT. When the award has already been made, a projectis in process, you have reviewed the progress and made a determi-nation that it should be canceled; have you ever done that?
Dr. WILLETr. I really can't answer that, but I am sure I couldsupply that to you. I could check back with my colleagues.
Mr. BoyarLERT. Dr. Ball, when you added parenthetically thatyou are not an expert on dairy cows, my ears perked up, becausewith your credentials, and your experience, and the fact that youare not an expert makes you an ideal candidate to run that pro-gram. We might get some common sense.
How close are we, Doctor, to finding an alternative to the Draizetest?
Dr. RALL. I really don't know. Again, I just have not followed theDraize test. That is not an area of toxicological investigation thatwe have pursued.
Mr. BOEHLERT. Dr. Guest, would you be the person to ask?Dr. Gunn. My sense i that we are very close. And very close in
science is maybe 4 or 5 years, sometimes, but that is close.I think probably Dr. Goldberg is probably better equipped to
answer the timing than I am, but I am encouraged by the progress.Mr. BOEHLERT. You mentionedyou reported on that acute stud-
ies workshop, and if I read what you are saying correctly, you arenot very enamored with the LD-50 test. You say PDA does not re-quire the use of the LD-50 test. Do you do anything to discourageits use?
Dr. GuEsm. We have gone about very carefully expunging anywords that have to with that kind of toxicity test from any guide-lines or regulations that we have. And, in fact, I guess, the latest togo was in May of last year, when we stopped requiring it on someantitumor antibiotic batch testing.
What one does is explain in guidelines that these are the kindsof tests that are necessary, are certainly not the LD-50, and thenthe scientists as they review the protocols that the drug sponsorsbring forward, look for signs of either, excessive use of animals orexcessive procedures in terms of humane care of animals. So, Ithink, probably, yes; and as well as every time we are asked, andany time anybody will listen, we tell them that the LD-50 is cer-tainly not the precise kind of test that we need.
Mr. BOEHLEItT. Would you say the use of animals in testing is on adecrease, leveled off, increasing, what do you think?
Dr. Mess The numbers are not very precise, and you can't setmany trends if you have to ask for numbers. But my impression,just having been in the business for awhile, is that the incentivesare away from animal use.
Mr. BOEHLERT. Dr. 'you are nodding yes,Dr. BALL. Unit and level are going down, I would guess. But
again, that is sense, that is not hard data.Mr. BOEHLERT. Dr. Willett, do you have the same sense?Dr. WiLurrr. I really don't know with the information that is
available.Mr. WALOREN. If the gentleman would yield?-You look at NIH's budget, the amount that is being spent on re-
search involving animals is going up. I would gather that the
118
133
amount that we are able to identify for nonanimal research is ex-tremely limited.Dr. BAIL. One comment; the NIH budget over the last 6 years in
constant dollars, has been level.Mr. WALGREN. But is that to again say that the amount spent on
animal testing, the amount spent on projects which use animaltesting has not gone up?
Dr. BALL. The amount has gone up. But it is my sense that youare buying the same amount of research, the same amount ofanimal testing. I don't think animal experimentation=I don'tthink it has gone down, but I don't think it has gone up either.
Mr. WALGREN. Has the amount of money in diroct pursuit of al-ternatives increased?
Dr. WiLizrr. Again, if we use in testing I would imagine, yes. Ifyou look at the total package of the NIH portfolio, that categorythat doesn't use either mammals or human subjects has again re-mained essentially constant since 1977, if that is of any use.
Mr. BOIDHLIIIIT. Dr. Guest, one last question. On page 4, you say,our agencies or our Government are cooperating on animal welfareissues with other countries through organizations like the OECD.Are we the teacher, or are we the student?
Dr. Gunn Oh, I think we are often the leader in those areas indeveloping harmonized guidelines, and requirements that would beacceptable around the world in testing. So I think quite often weare the teacher. We always learn; but we are obviously a leader.
Mr. Bosnuram. That is good to hear. Thank you very much, nofurther questions.Mr. WALGREN. Thank you, Mr. Boehlert.What happens when budgets are reducedand we had a reduc-tion in April of this yearwere the non-animal alternatives pro-
grams were reduced more than other programs were reduced, or wasthe reductions equal?Dr. BALL. At least speaking for my institute, it was on a case-by-
cabe basis. It was an attempt to determine whether or not eachgrant could take 5 or 10 percent decrease to make up for those thatcouldn't take any. I saw no trend either for or against the use ofwhole animals.
Mr. WALORICN. How about the other agencies involved?Dr. Witurrr. In the case of the division, the reduction was the
same in all the areas.Mr. WALoitirs. And how about FDA?Dr. Gillum I don't see any disproportionate cut, Mr. Chairman.Mr. WALGION. Do you have access to a nuclear magnetic ma-
chine, is it economical?Dr. RALL. It is terribly expensive in terms of the first cost. It
used to be known as nuclear magnetic resonance, but it has noth-ing,to do with radioactivity, so its name is changing. It has to be ineither a building with essentially no steel, or a constant steelframe.
Mr. WALCHISN. Yes, I know it is expensive.Dr. RALL. But we think in the long run it may be very economi-
cal once you get over the capital cost of buying it and installing it.Mr. WALGREN. Have we bought it?
3
134
Dr. RALL. NIH has a number, and we haveNIH has at leastone that is suitable for patients. We are buying two machineswhich are suitable for animals.
Mr. WALGREN. Do we have them now. Are we running ani-male
Dr. RAIL. Oh, yes.Mr. WALGREN. That is good.Dr. RALL. We would be glad to submit for the record some of the
pictures, they are awful impressive.Mr. WALGREN. Dr. Rall, you are really on record as feeling the
LD-50 test is a prettynot so useful measure of measuring healthhazards.
Dr. RAIL. I would like to make one comment about the LD-50teat. I think it has gotten a bad rap today in a sense.
It was designed back in the days of tinctures and elixirs andpharmaceutical agents that were made by taking a plant and ex-tracting itdigitalis for example, tincture of cligitalis was thestandard treatment for heart disease. Tincture of digitalis Is a veryuneven compound. Some plants had much more than others. Andso you were faced with a very variable, but basically highly toxicmedicine.
The LD-50 was designed to try to calibrate the toxicity of eachbatch, so that you could make it uniformly toxic when it went outto the pharmacist, and that is its real purpose. And for that reasonyou needed a kind of !recision that I think we don't need anymore.
And the sort of range finding tests and so forth are quite ade-quate for today, use less animals. But in its time the LD-50 saved alot of people from digitalis toxicity. But I agree that there isalmost, almost no place for it.
Mr. WALGREN. But yet the companies still use it. Even thoughyou have eliminated it from your specific requirements, thereseems to be a momentum out there that if somebody wants to havean application that would not be criticized, they went to a portionof it that says that we did it in LD-50 testa, and 50 of them died, or50 of them didn't die.
Are there other positive steps that we are going to have to do tostop the inappropriate use of LD-50 by some testing systems?
Dr. GUEST. I don't think we see that very often. In talking to allthe centers in Food and Drug Administration, I ask that question,How often do you actually see the test? And the answer was, very,very seldom. But gome companies still feel that they have to runthat test to give some sort of a rank in toxicity, and perhaps andknow about it in terms of protecting workers.
There are more precise acute toxicity tests, using much feweranimals that we normally see. I think that 'the move is definitelyaway from that, and there is certainly no requirement for that, Mr.Chairman.
Mr. Witimucii. Dr. Rall, in the toxicity program, I gather "x"amount is allocated for testing, and then another portion of yourbudget would be for efforts to develop alternatives to testing, isthat a fair--
135
Dr. RAU. Well, no, the budget is really developed from thebottom up. What are the opportunities in test method development;what are the list of compounds that have not been tested.
Mr. WmaxErt. Yes.Dr. RALL. And we balance those, it is not--Mr. WALGREN. And in last year's budget, what was the percent-
age in development of testing, development of new methods of test-ing; if that is not an unfair question?Dr. RAIZ. It was a littlein 1985 the total figure was $17 millionout of about $70 million.Mr. WALGREN. $17 million out of $70 million?From the congressional standpoint there are relatively few tools
we have to work on moving -that number, and one tool, I guess, isto try to structure officesyou don't have an office for the develop-ment of testing, do you, development of new methods of testing?
Dr. RALL. Yes,,we have officeswe have people who are involvedin testing. They tend to be one of two types, they are either inter-ested in doing the test or they develop test methodology.
They are not segregated because they really work very well to-gether, and it is important that they do. But many of our scientistsin the toxicology testing and research program are devoted to de-veloping new tests. This is what they like to do.
Mr. Wsumum. Well, we are looking at 17 percent of the budgetthere and it is not organizationally under somebody who is feelingthe responsibility of the development of new test methods?
Dr. RALL. It couldn't be, because the tests are so diverse, fromtissue culture to measure to use, to measure renal function, simpletests for noninvasive test for neural behavior effects. You need tobe in the discipline.
I think the fact that we have over the last 7 or 8 years, increasedit percentagewise, indicates that the program is interested in asmuch emphasis as is scientifically available on developing new andalternative test methods.
Mr. WALGREN. Well, certainly inasmuch as this seems to be anarea that represents so much potentialDr. Willett has beenquoted in Science Magozine as saying that this is" really the door-step of a new theoretical biologywe want to push the frontiers asmuch as we can. I would like to encourage you in that direction,and indicate that when you take the actual measure, if you run thethermometer up the wall and ask, what percentage goes to that,and what percentage goes to that, it looks like the alternative de-velopment is underemphasized, let's put it that way, compared tothe potential that it might have.
Dr. BALL. The decisions are very difficult. How would you decidebetween putting more money into a new test method, and testing acompound that many, many hundreds of thousands of people areexposed to that has never been tested? That is a difficult decision.
Mr. WALGREN. Yes; I appreciate the difficulty.Well, we would like to submit some questions to you for written
submissions. We appreciate your being a resource to us, and wantto encourage you in this area.
Thank you very much.Dr. RALL. Thank you, sir.
t.C.J 39
136
Mr. WALGREN. The last witness, Alan Goldberg, director for theCenter for Alternatives to Animal Testing at Johns Hopkins.
Welcome, Dr. Goldberg, we appreciate your being here.We will certainly include anything in writing you would like to
submit in this exploration, and would love to hear your perspec-tives at this point.
Dr. GOLDBERG. Thank you, Mr. Chairman, members of the sub-committee, I have been asked to detail the accomplishments of theJohns Hopkins Center for Alternatives to Animal Testing, and myfeelings about the future of in vitro. toxicology. I am pleased tohave this opportunity.
Mr. WALGREN. Let me to ask you to pull that mike right in; Ithink it needs to be spoken right into before it will project to theback of the room.
Dr. GOLDBERG. I am Alan M. Goldberg, associate dean for re-search at the Johns Hopkins School of Hygiene and Public Healthand professor and director of the Johns Hopkins Center for Alter-natives to Animal Testing.
The center was established in 1981 by an enabling grant fromthe Cosmetic, Toiletries and Fragrance Association, a trade associa-tion representing approximately 200 companies with other majorfinancial support provided by Bristol-Meyers Co., Exxon Corp., theGeraldine R. Dodge Foundation, and Amoco Corp., and othersthrough individual support, and small support from around 30 to40 other additional companies.
The goal of the center is to develop and disseminate appropriatebasic scientific knowledge for innovative nonwhole animal methodsto evaluate fully the safety of commercial and/or therapeutic prod-ucts.
The center advisory board, currently consisting of 21 scientists,establishes policy, and conducts competitive review of investigatorinitiated grant applications. I have attached to my testimony a listof current projects.
The grants are generally funded for 1 year with continuationfunding depending upon results and productivity. We hope that ourgrantees then apply to other sources for additional funds as well.
Voting members of the board are drawn from top universitiesthroughout the Nation. Leading scientists from the center's indus-trial sponsors, government and the animal welfare movement serveas nonvoting members. And again, I have .attached the roster ofthe membership to my testimony.
The center hosts an annual scientific symposium that each earhas established a new landmark in the development and implemen-tatiim of alternatives to animal testing. The first symposium out-lined problems impeding the search. for alternatives.
The second prod.uced a scientific consensus on short-term meas-ures that coulcl be taken to reduce animal use in acute toxicitytesting. That consensus led to the actions by the U.S. Food andDrug Administration, and the U.S. Environmental ProtectionAgency encouraging that development. The meeting that we justheard referred to as the November 9 meeting.
The third meeting constituted a progress report on in vitro toki-cology, with emphasis on potential alternatives to the controversialDraize eye test. The fourth symposium, held approximately a
140
137
month tigo, on April 14 and 15 of this year, concentrated on valida-tion of in vitro methods, the final process in securing widespreadacceptance of alternative tests. Proceedings of the symposia form abook series titled "Alternative Methods in Toxicology," publishedby Mary Ann Liebert, Inc.
The center distributes 17,000 of its newslettersand, again, Ihave attached copies of two most recent newsletters to this testimo-nyto an international readership of scientists, corporate execu-tives, government officials, animal welfare advocates, members ofthe news media and the general public.
[The information followsl
141
138
UNITED STATES ENVIRONMENTAL PROTECTION AGENCYWASHINGTON. D.C. 20460
MAY - 51g56SU.STANCES
Mr. Doug WalgrenChairmanSubcommittee on Science,
Research and TechnologyCommittee on Science and
TechnologySuite 2321Rayburn House Office BuildingWashington, D.C. 2051$
Dear Mr. Chairman:
We are happy to have an opportunity to respond to yourinquiry of April 24 concerning the use of animal tests by theEnvironmental Protection Agency (EPA) and the progress thathas been made in reducing the use of animals for testing.Each topic will be answered in turn.
This Agency can require toxicological testing under two ofits statutes, the Federal Insecticide, Fungicide and Rodenticide
Act and the Toxic Substances Control Act. As part of ourevaluation of chemicals concerning their potential to producepotential adverse health effects, we like to have data availablefollowing short-term and long-term exposures to the chemical,that is, estimates of acute toxicity and chronic effects.Occasionall Y. we have information on humans, but most oftenour assessments focus on data from experimental animals. Wesee animal test results as critical elements, because today,there are not many other scientifically acceptable means ofpredicting chemical aafety. Even in light of this, we havetaken several steps to decrease the use of animals.
1. Develop Consistent Protocols. Both EPA programs usethe same teat protocols for evaluating chemical hazards, and wehave worked with other Federal regulatory agencies to deviseconsistent tests. On the international scene, we have activelycontributed to developing similar toxicological tests withinthe Organization for M.:onomic Cooperation and Development(OECD). In fact, it is the policy of this office to accept
142
139
-2-
studies done in accordance with OECD protocols, even if theydiffer somewhat from those used at EPA. /n sum, tne adoptionof comparable approaches to toxicological testing results inconsiderable saving of animals both nationally and worldwide.
2. Reduce Numbers of Animals in Tests. /n late 1984, EPAannounced revised acute toxicity test guidelines. A three-stepprocess was given. /nitially, one reviews existing data onchemicals that are structurally related to the untested compound.In some cases enough information can be gleaned to obviate theneed for any further testing. /f not, we specify the use of alimit test, where a small number of animals is given a single,high dose of the chemical. If toxicity is not demonstrated, nofurther testing is needed. only with those compounds showingtoxicity, do we recommend further examination. /n this caseonly three doses of the chemical are tested in small groups ofanimals. All toxic reactic:g, including death, are carefullyobserved including pathological examination at the end of thestudy. In this way we have maximized the amount of toxicologicalinformation while minimized the number of animals used togenerate that information.
Although we recommend the above acute testing scheme, wediscourage the employment of animals simply for the estimationof the median lethal dose (LD50). This position was clearlyarticulated in our announcement that accompanied the testguidelines and was sent to major toxicology societies, allmajor toxicology testing labs in the U.S. and other interestedparties, including the animal rights groups and governmentagencies.
3. Alternatives to Mammalian Testing. Progress has beenmade in certain areas concernfng the use of submammalian animals,cultures of mammalian cells and even plants to evaluate potentialhuman health effects. The tests most widely used measurevarious genetic endpoints. They are used to help set prioritiesfor testing chemicals, to evaluate data for carcinogenicity,and to evaluate the potential for heritable effects to futuregenerations. In other cases cell preparations are used tostudy mechanism of toxic action and to evaluate chemical metabolism.
Finally, it is the position of EPA to incorporate testmethods that reduce or replace whole animal testing as soon asthay have been validated and found acceptable by the scientificcommunity. Many different groups are making progress withalternative tests, especially as to possible replacements forthe Draize eye test. We look forward to the fruits of theseinvestigations.
140
-3-
In summary, then, EPA does rely on animal test results tomake projections about public health. However, we have workedwith others around the world to achieve consistent test protocols;we have clariied our position in regards to acute toxicitytesting; and we incorporate alternatives to whole mammaliantesting when they are readied by the scientific community.
Sincerely,
'
A. MooreAssistant Administrator
for Pesticidesand Toxic Substances
144
141
61:1k 66
I Si
C/743, No I T 1HE SCHOOL OF HYGIENE AND PUBLIC HEALTH IMMER 1985-86
The Center's First Four Years ... and BeyondA catalyst can speed up a chemical reaction by
bririging the reactants closer together. The Johns Hop-kins Center for Alternatives to Animal Testing (CAM)Plays a similar role in the search for in vitro toxicitytesta
Since its inception in 1961, the CAAT has acceler-ated the quest by uniting the talents of top universityresearchers, the practical knowledge and financialsupport of indusrey, the authority of government reg-ulatory agencies, and the concerns ot-the animal wel-fare movement.
A chemist wotdd further define catalyst as a sub-stance that remains unchanged by the reaction it stim-ulates. Here the CAAT differs. It has tesponded to theevolving needs of the nascent field of in Mho tiudcol-
The centers presets: Ocala symposia, much papers andnawsielats hare aided Omuta la time south 65 atimetres toanima awns.
Having made advances toward tests of acute (short-term) toxicity, the Center is turning its attention tochronic (long-term) toxiciW tests. If has placed moreemphasis on validation, the process needed to provethat promising new methods really work. And TheCenter has established its own In Vitro ToxicologyLaboratory to further stored the research effort and co-ordinate the transfer of technology from the Center toother labs in academia, government and industry.
This issue of the newdetter highlights the CAATsEaegduring its first four years and explores whatre may-hold for the Center and for in vitro tox-
icology. 0
In Thls Issue
CAAT Influential in Research, InformationCenter has had major impact on research onand public awareness of alternatives 2
CAAT Establishes in Pitro Toxicology LabNew laboratory to speed research and coordinatetechnology transfer to other labs 3
Symposle Advance in Vitro ToxicologyScientists view Center's annual conference asthe in vitro toxicology meeting 4
Bausch & Lomb Funds Drain StudyReview to pinpoint problems that must beaddressed before eye test can be replaced 5
Financial SummaryRevenues, excenses and fund balance forCentefs first four years 6
Who's WhoTop scientists make up CAATs advisory board 7
literature from the CenterSome of more than 60 publications fromCAAT-sponsored research 8
Rel&tr Festusebook5
st
Sponsors of the Center 7
142
CAAT influential in Research, Public information
By Alissa Mond toff
During its first four years, the CAAT has been influ-ential in two important areas.
Through its research program, the Center has dem-onstrated to the identilic community that a directedeffort to find and develop alternatives can succeed.
Through its information program, the Center hasimproved the publs understanding of animal testingand potential alternatives.The Research Program
The CAAT has shown that the investigator-inillated,peer-reviewed grant process can produce major ad-vances In a goal-oriented program. This process hassped the development of alternatives and has helpedto define the new discipline of in vitro toxicology.
By the end of fiscal M6, the Center will have dis-persed more than $2 million for over 30 research proj-ects. Already, the research program has producedmore than OD articles, book chapters, and symposiumpresentations, ind=4 papers written for peer-re-viewed edentific
In more than a dozen of the CAAT-s red stud-ies, sdentists are examining in Who methods to assessirritation and inflammation. This work includes re-watch on alternatives to the Drake eye and skin tests.
Iri another doten projects, researched are booklnfor ways to evaluate chemicals' potentiti toxic effeclson sped& organs: the head, lungs, liver, Iddneys andnervous system.
The remaining projects are examining methods todetect compounds that produce birth deeds, methodsto reveal bacterial contaminants in food and drugproducts, and methods to assess cellulse toxicity for
use In toxicity Wsting.Many in dim mdlwds are now
by industrial concerns a . Thisindustry Liable hands-
on In alternative and is an impor-tant In winning the scientific cooununitys accept-ance of new methods for amunendal use.
One CAAT-funded project that wears dow towinning such acceptance is an in gift test for botu-lism itee=3avol. , no. 2 of the newsletter). Developedby a infectious climate researcher, it an re-plarn a y requiring up to MO mice for each test.
The Center's success In research has bred copyCAATs. Within the last two tis. Switzerland andWest Germany have established centers for alterna-tives to animal testing, modeled on the Hopkins Cen-ter.
Scientists from Canada, England, Belgium, Norway,Australia, Israel. India, japan and other countrieshave express& ng interest In the CAAT's researchProgram.The Information Program
Through its publications and presentations, theCAAT is succesFefullr greater attention to al-ternatives and essential information to rad-ln:itint industry execu ves, government officials,
advocates and the news media.The MtleFlinrwsletter has grown from an initial cir-
culation of 1,000 to more than 15,000 and reaches keyaudiences Internationally.
Alternate Methods 11'1:osteology, Which presents theproceedings of the Cenbit's annual symposia, is theonly book series in ib field.
CAAT director Man M. Goldberg, Ph.D., and mem-bers of the Center's Advisory Board have counseledthe U.S. avvartmnit on major studies of alternativesto anlmaruse. These studies were conducted over thelast two years for Congress, the Air Pore and the Na-tional Institutes of NeCth.
awdou am RIO
Shape Cad. M.D.:Moore d Haman Tadmiug;Antal Corporation
"I think it's pretty clear that the mill reasonthem has been really significant activity and
f:Zhas been that Me Center has pro-ig:gloms and the mechanism for a mean-
Meld effo!i"
46
143
The Center's staff and Achi:ory Hoard membershave participated in more than 100 seminars, sympo-sia and presentations to sdentific and lay communi-ties.
As the result of a collaboration with the CAAT, theNational Library of Medicine introduced "animal test-ing alternatives ' as a new subject heading in all itsnew catalogs, periodicals and computer data bases(see vol. 3, no. 2). The new heading has improvedcommunication on alternatives among scientistsworldwide.
The CAAT also inspired the Library to create an an-notated bibliography elevated to in vitro toxicology inTor-Tips, a monthly periodical on toxicology testing.
The CAAT has reached millions of people throughcoverage in the news media. The Center's activitieshave been covered by newspapers,_magazines, radioand television stations, and sdentific, industry andanimal-protection publications throughout the UnitedStates and in several other countries. Publicity has ap-peered in many large-circulation periodicals, includingThe Wall Street Journal, The New York Times, The Los An-geles TifIWS, The Chkag0 TrthUlte, USA Today, NeWSWetkand Business Week.
The coming years should bring increased public in-terest, as the products of the Center's research gainacceptance inlndustrial testing laboratories. 0
CAAT Establishes LabTo supplement its research grant program, the
CAAT has established its own In Vitro Toxicology Lab-oratory at the Johns Hopkins School of Public Health.
Under the leadership of the Center's associate direc-tor, John M. Frazier, Ph.D., the laboratory is conduct-ing research in such areas as cellular toxicity, in vitromethods of evaluating chronic toxicity, andmultiple-cell culture techniques that mimic interactions amongcells in living animals.
The laboratory also will facilitate technology transferfrom academia to industry. The lab's staff will trainacademic, regulatory and industrial scientists trt thelatest in vitro techniques. And the laboratory will coor-dinate inter-laboratory comparative studies to provethat the new method's really are better than live-ani-mal testing.
The lab s research will focus on identifying themechanisms of cellular toxicity. ThLs knowledge willhelp scientists at the new lab and elsewhere to de-velop quantitative methods of analyzing cellular toxic-ity and, ultimately, to find alternatives to animaltesting.
One research problem scientists will tackle is identi-fication of biochemical responses of cells to poisons. Ifspecific responses can be found and measured, theymay enable scientists to study toxicity in one type ofcell and then generalize the results to other types.
John AteArtile, Ph.D.; Dtntior of Laboratory Animal WelfamHumane Society of the United States
"In the animal welfare community, the re-sponse to the CAAT is very positive. TheCenter has clearly demonstrated that tar-
geted development of alternatives :an bedone successfully. It is no longer possible toadvocate the position that alternatives onlycome about through serendipity."
Another research team will try to grow a mixture ofdifferent types of cells in culture. This will permit sci-entists to study the interactions of different cells dur-ing poisoning. The current lack of research onmulfiple-cell cultures limits toxicologists' ability to ap-ply the results of in vitro experiments to humans andother living animals.
The new lab also will investigate the feasibility ofusing in vitro techniques to study chronic toxicity. Un-til now, in vitro toxicologists have mainly concentratedtheir research on acute toxicity.
Scientists at the new lab will attempt to developnew tests based on the results of past CAAT-spon-sewed research on liver toxicity. The liver is a keyplayer in the body's response to toxic chemicals.
Working from knowledge gained in their researchon protein production and release in isolated livercells. Hopkins toxicologists are collaborating with aprivate research lab to ioerfect a computer-basedmethod of analyzing the proteins' biochemical "fmger-prints."
This work should peoduce a quick and sensitive testthat can be used not oily to screen for potentiallytoxic chemicals but also to provide important informa-tion about mechanisms of poisoning.
Initdal funding for the laWratory has been suppliedby Allied Corporation, American Hospital Supply Cor-poration, Shell Companies Foundation and private do-nor5.0
14 7
144
4
talarlitAgMMSymposia AdvanceIn Vitro Toxicology
Academic, industry, and government scientists viewthe Cennr's annual symposium as the meeting in thefield of in vitro toxicology. Participarns say the gather-ings not only serve as showcase for cutting-edge re-search, they provide direction and cohesion to thenew disdpline.
The symposia's subject matter has followed a logical
FR=nsymposium, in May 19e2, surveyed exist-ing knowledge about alternatives to animal testingand impeding the search for slier-natives. A ma or focus was potential in vitro alterna-tives to tests r irritation and inflammation, such asthe Draize eye test.
This symposium set the framework for the progressmode in the Center's research program,
In May 1983, file second symposium produced a sci-entific consensus on short-term measures that couldbe taken to reduce animal use in acute toxicity, testing.That consensus led to actions by the U.S. Food andDrug Administration (FDA) and the U.S. Environmen-tal Protection Agency that encouraged industry tomake reductions in Ine controversial classic ID test,which requited the use of 40 to 200 animals peitest.
Stdni Cdeen, Ph.D.; Ameilte Dinistor tse leibmatoryIn thou Division ol tadixtioix U.S. Food and Drug
"The main impact of the CAAT is that it hasbrought alternatives to our attention andopened our eyes to options. It's been infec-tious we're now doing more in vitro workourselves."
limy re; ownfinator Coalition to Abolish the LD. andthaize
"The Center has been a leader. The credibil-ity and prestige of fohns Hopkins has helpedto legitimize fhe effort to develop alterna-tives ... the Center has shown that good sci-ence can go hand-in-hand with reduction inanimal use."
Alternatives methods adopted by industry provideinformation as useful as that obtained with the classic1.13. test. But they require as few as one-tenth asmany animals.
Says FDA toxicologist Sidney Green, Ph.D.: "Wedefinitely, have seen a significant :eduction in relianceon the dude LDu test over the past two years. TheCenter for Alternatives to Animil Testing has playedrole in thls."
In October 1984, the third symposium constitutedprogress report on in ono toxlool-off , with emphasison potential alternatives to the contvversial Drakeeye test. Many CAATiponsoted scientists reportedsuccess in developing ot vitro methods, with resultsthat correlated well with those of llve-animal tests.
This meeting was the subject of a cover story inChemical & Engineering News, one of the most widelyread and respected publications in the chemical Indus-
The fourth symposium, scheduled for Amil 14 and15, 1986, will concentrate on validation the processof assessing the reproducibility, reliability and send-tiviry of alternative tests compared with currentlyused animal tests. Regulatory agendes and commer-cial labs require extensive, scientifically sound valida-tion studin to replace an animal test with an in vitroalternative.
Validation is the final stage in securing widespreadacceptance of a particular alWrnative test or battery oftests.
(continnal on nen pee
145
Gary Ellis, Ph.D.: Nolen Dueour for -Alternatives to AnimalUse in Reward% Testing. and Mucstion"; Office of Technol-ogy Assessment U.S. Congress
"There are only two groups putting theirmoney where their mouth is: the companiesand industry associations supporting CAATand those supporting the Rockefeller effort."
Proceedings of the CAAT :.ym_posia form a book se-ties titled Alternative Methods in Toxic° lt*y. The firstthtee volumes ate now available from Mary Ann Lie-bert tnc., Publishers, 157 East 86th Street, New York,N.Y. 10028. 0
Merl A. Salk Ph.D.: SeniorSdentifir Adviser forgnelronmentel Health Science% 600,11 COMOritioll
"Ihe Center has leverald its dollars. Inmany instances, it has een able to use itslimited fimds to add targeted studies on al-ternatives onto other research projects. Andsome researchers Initially funded by theCAAT have been able to attract grantsfrom other sources to continue their work onalternatives."
Bausch & Lomb FundsDraize Study
In September, Bausch & Lomb Inc. awarded theCA.AT a $130,000_grant to conduct and publish a criti-cal review of the Muize eye test and potential alterna-tives to it.
Under the grant, a group of independent scientistswill review all available publications and research-in-progress tu pinpoint the scientific and practical issuesthat must be addressed before Draize alternatives canbe adopted by industry.
At a meeting in the spring, the authors of the re-view and scientists who have done research on theDraize test will evaluate and critique a draft of the re-view. After comment by this group, the final reviewwill be written and published as a volume of theCAAT book series, Alternative Methods in Toxicology. 0
DatebookDec. 9-10, I louston; Dec. 12-13, San Francisco;Dec. 16-17, San Diego. "Recombinant DNA Methodol-ogy Training Course." Contact: Roland M. Nardone,Ph.D.. Center for Advanced Training in Cell and Mo-lecular Biology, Catholic University of Mimics, Wash-ington, D.C. 20064. Telephone: 202-635-6161.
April 1445
"In Vitro ToxicologyApproaches to Validation Methodology"
Johns HopkinsCenter for Alternatives to Animal Testing
Fourth Annual SymposiumBaltimore,Md.
Deadline for Poster Abstracts: March I
Contact:Joan S. PolingCenter for Alternatives to Animal TestingJohns Hopkins School of Public Health615 North Wolfe StreetBaltimore, Md. 21205Telephone: 301-955-3343
149
146
Financial SummaryPeriod: October 1,1981 through September 30, 1985
1981-65 1981-84 1984-85 1981-85
Revenues:
Cosmetic, Toiletry and S 916,000 $400,000 SL316,000Fragrance Assodatlon
Bristol-Myers Company 2000,00 67,000 267,000
Geraldine R. Dodge Foundation 38,000 25,1350 63 000
CIFAExxon Corporation 50,000 50,000
Symposia (registration feesand sponsor's contributions)
50411 50,411
Other Donations 7L162 29,832 1t/0,994Drina Ithlyers
OtherInterest on Reserve Fund 6,000 6,000
Salaam TOTALS S1,275,573 S577,832 51853,405
Expenses & Fund Balance:erIntramural Research Grants S 384,786 5156,000 S 540,786
Extramural Res;arch Grants 368,058 214,460 582,518
Information Program (symposia,book series and newsletter)
125,790 S1,(00 176,790
Program Developmentand Administration
325,777 120,540 446,317
In Vitro ToXicology Laboratory 27,000 27,1810
Onetomes Reserve Fund 79,996
Other TOTAL $1,853,405
150
147
Scientific Sponsors of the CenterAdvisory BoardVoting MembersDonald Al len, Ph.D., University of
South CarolinaLarry L Ewing, Ph.D., Johns
Hopkins University School of PublicHealth
John M. Frazier, Ph.D., JohnsHopkins University School of PublicHealth
Leon Golberg, M.13., D.Sc., D.Phil.,Duke University Medical Center
Man M. Goldberg, Ph.D., JohnsHopkins University School of PublicHealth
Lowell A. Goldsmith. M.D.,University of Rochester MedicalCenter
Paul Kotin, M.D., University ofColorado School of Medicine
David Maurice, Ph.D., StanfordUniversity Medical Center
James McCulley. M.D.. University ofTexas
John D. Strandberg, D.V.M., Ph.D.,Johns Hophins University School ofMedkine
Peter A. Ward, M.D., University ofMichigan Medical School
Non-Voting MembersC.An, Flamm, Ph.D., U.S. Food and
Drug AdministrationGareth M. Green, M.D., Johns
Hopkins University School of PublicHealth
John A. Moore, D.V.M., U.S.Environmental Protection Agency
Albert Ritardi, M.A., AlliedCorporation
Andrew Rowan, D.Phil., TuftsUniversity School of VeterinaryMedicine
Sponsor Liaison Members (non-voting)
George Moto, B.S., NoxellCorporation
James McNerney, M.P.H., Cosmetic,Toiletry and Fragrance AssociationInc.
Robert A. Scala, Ph.D., ExxonCorporation
Patricia Williams, Ph.D., Bristol-Myers Connsiny
We gratefully acknowledge continuing sponsorship ofthe Center by:
The Cosmetic, Toiletry and Fragrance Association Inc.Bristol-Myers CompanyThe Geraldine R. Mdge FoundationExxon Corporation
We gratefully acknowledge recent donations from:
Patron Friends (continued)The Clorox Company Bonnie HearnBenefactors Dona T. HendricksAmetican Cyanamid Elena T. HineckChmebrough.Pond's Inc. Danielle M. HintonPfizer Inc. Carol and Bradley Johnson
Molly G. KielyContributorsSheila KiesCarson Products CompanyKristine KlewinHelene Curtis Industries Inc. Carol LiberatoreHoubigant Inc.Donna LiebersteinThe Andrew Jergens CompanyEdward T. LindenthalJohnson & Johnson Baby Products Theresa A. LongCompanyMary Ellen MarkelKey West Fragrance & Cosmetic C. E. MillerFactory Inc. Janet P. MorganGeorgette !Clinger LaboratoriesBarbara MorinMEM Company Inc.Nebraaka Humane SocietyPharmaceutical Manufacturers AuxiliaryAssociation of West Germany Patricia NowakPremae Inc.Pamela OstrowRithaMson-Vicks Inc Gladys PerezTevco Inc.Iris PerryWalgreen CompanyLaurin A. PeterlinTheYiella Corporation Letitia 0. PrincipatoFriends Paula K. Reinhart
Gerald Bogner Frank N. RomanoLaurie Batiste Roberta RoyerFay P. Booth Erin RussellElfzabeth Bracco Tin . 7... rtantopoaloBonnie Briare Jeannie SchoelChurch & Dwight Company Inc. Diana SearcyKimberly S. Clme Ruth R. SilvermanMrs. Cleo Creamer Fern B. SmithRalph Crimaidi Mary SmootE. C. Crossin Loyce SteeleMario de Ill Guardia Rene SuccaJune Faulk SwedMaryanne and Eugene Frank Edward M. TricsichLycha Garvey Chriatina TomeiSharon K. Gile Joanne VovioMahri Givers Elm C. WattsValera W. Hagan Irene Garrow Werne, M.D.
Paula WilhelmJanet C. YochimWade Zimmerly
AnnPhylgaZtings
1 51
148
Literature from CAATRelease of by cultured corneal
epithdial cells d in vitro growth, differentiationand wound healing. Y. Chan. Investigative Oph-thsimology 25 (Supplement 92): 1%5.
Selective isolation and rapid identification of Clostri-dium tonlinum type A and type .8 by toxin detec-tion. M. Dezfullan and j.C. Sartkit. Journal ofClinks! Mkniology 2221-233, 1985.
Rapid diagnosis of case of infant botulism by en-prsfricimmunommy. M. Dezfullan and J.G. Bartlett.
Infectious Moue 4:399401, 1985.Protective effect of metsnothionein on cadmium toxic-
prattrb.olautiepor:Lhepo=tezire31402D14agr I.M.
Pnproduction by rat vaginal tissue, in vi-
irttdesin to ethanol, a mild mucosal irritant.N.H. Dulitn, C.L. Thomas, M.C. DiBlasi and M.C.Wolff. Tonsiogy and Appliti Phonology (in press).
Classification of eptdemial keratins according to theirlmmunoreactivfly, isoelectric point, and mode ofevresslon. It Eldiner, P. Bonne and T.-T. Sun.Jonntal of Cell Billy 98:13884396, 1964.
Respire tract organ cultures to assay attachmentar A ty cd M.0 Gabridge.Arva& of HU.
Tetracycline phototoxicity: Coreelation with in vitrotest aystems. T. Haman, I.E. Kochevar, D.j. Mc-Auliffe and BS. Cooperman. Journal of MoestigativeDomaktiogy 88'.319, 1963.
Mechanisms of tetracycline phototoxidty. T. Haaan,I.E. Kochevar, D.J. IdcAulitie, B.S. Cooperman andD. Abdulah.lbord of Inteatigathe Dermatology83:179483, 1 .
Amiodarone phototoxicIty to human esythrocytes andliumutoarzikwHaaan, I.E. Kochevir and D. Ab-
Pletoldalogy Kt715-719, 1984.Epidermal stem cells. R.M. broker and T.-T. Sun.
Journal of Inuestlgatitre Dermatology 81:121a427s, 1983.Use of heart cell cultures as a tool for the evaluation
of halothane arrhydunia. D.J. Miletich, A. Khan,R.P. Albrecht and A. IozefI&7k. Toxicology and AppliaiPitennaviagy 711181487, 1981
A fluorescence polarization procedure for the evalua-tion of the effects of cadmium on plasma membranefluidity. D.C. Nealon, E.M.B. Sorenson and D.Acosta. Journal of Tissue Culture Methods (in press).
Cadmium-induced hatotroddty in cultured rat hepa-tocytes as evaluated by rnorphometric analysis.E.M.B. Sorenson and D. Acosta. In Vitro 20163-770,1984.
Calcium amelioration of cadmium-induced cytotoxicityin cultured rat hepatocytes. E.M.B. Sorenson,N.K.R. Smith, C.S. &ocher and D. Acosta. In Vitra21771-779, 1984 .
Erythromydn eatrolate-induced toxicity in cultured ratepatocytes. E.M.B. Sorenson and D. Acosta. Toxi-
cology lentil (in press).Effects of cadmium and calcium on the fluidity of
plasma membranes. E.M.B. Sorenson and D.C.Nealon. Toxicology letters (in press).
Stereographic analysis of hepatocytes: Evaluation ofcytopathic changes in vito or in vitro. E.M.B. Soren-son, R. Ramirez-Mitchell and D. Acosu. Journal ofTissue Culture Methods (in press).
Relative toxicities of several nonsteroidal anti-inflam-matory compounds in primary cultures of rat hepa-tocytes. E.M.B. Sorenson and D. Acosta. Journal ofToxicology and Environmental Health (in press).
Classification, expression, and possible mechanisms ofevolution of mammalian epithelial keratin,: A unify-ing model. T.-T. Sun, R. Bchner, A. Schermer, 11Cooper, W.G. Nelson and R. A. Weiss. Cancer Cells1:169-176, 1984.
Correlation of specific keratins with different trpes ofepithelial differentiation: Monoclonal antlbodk stud-ies. S.C.G. Tseng, M.I. Harvinen, W.G. Nelson,J.W. Huang, J. Woodcock-Mitchell and T.-T. Sun.Cell 30:361472, 1922.
Expression of spedfic keratin markers rabbit cor-neal, confuncnval, and esophageal the& duringvitamin fir deficiency. S.C.G. Tieng, D. Hatchell, N.Tierney, I.W. Huang and T.-T. Sun. Journal of CellBiology 99:2279-2286, 1984.
Toe orwider at the pun *Onto Crain ke Adentenves Ss Mandl Teddyspoodned by the Gdeldlon R. DKr Fourdition And Is cnoldbuled tree to the
O ral& comenunity. Raman al the Coder ad .M.1 Intesedsd In the Center'sg gained marina Vim. expand an Me maim. an as necerarily thoseof du Calerar the Mrs Harlin Mongol konennors.Innen el le (WinnAIM AL CddIdAA PALO.Celan tar Allerndkno b Ariad TatlagOhne Hotels School al Kik Muni.ALS Intalh Wall Sant11111sium Md. AIDSTdAdbide 3171453243lalm ChkhSInphm hobLAT Mawlohn OW.AM MineMr AmniaD ewy Ms011ke d Mar AS*.Ohne Hotels Olsdkdi Inannnon.KO Honk Wale SawatNibs% Md. EMSTahnbone 301AISS4V0
152
Non-Profit Ors.US. Pomade
PAID
Baltimore, Md.Permit No.1
149
Dr. GOLDBERG. The eight-page, three times a year, publication,presents research results, highlights of symposia, bibliographies ofscientific literature, information about the center and has becomea resource for the development of in vitro toxicology.The need to assess the safety of commercial and consumer prod-ucts has been highlighted during the past several years. Technolo-gy and advances in chemistry have provided us with the opportuni-ties of new products, of new formulations and of new entities.It is widely accepted that in excess of 100,000 chemical com-pounds are currently in the market place for which we have little,if any, data on which to assign risk.
Additionally, the methods that have been accepted for the assess-ment of toxicity, tests like the LD-50 and eye testing in the rabbitare methods that were introduced about a half a century ago.These results, although generally not required by regulation, havebecome standard by history and tradition.
The increased awareness of _potential hazards to chemicals hasled to demand by consumers for more testing, for more effectivetesting, and for less expensive testing. This demand for increasedtesting has been counted by many for the decreased use of animalsin testing strategies.
The request from the animal protection movement among others,confused the issues of basic biomedical research in routine productsafety testing. Additionally, product development and screeningwere again issues that are not clearly understood by those request-ing a decrease in animal usage. Some of the issues are addressingthe OTA report that Dr. Ellis presented at the beginning of thishearing.
Coincidental with societal awareness and the need for productsafety are major developments from the scientific standpoint interms of providing new methods and new approaches in using anew biology to address these very real problems. Cell, organ andtissue culture methodologies, which were developmental in thebasic biomedical research laboratory 15 or 20 years ago, were noteven utilized in toxicological research 10 years ago.In the late 1970's, a meeting was held, of an international groupon the use of tissue culture in toxicology. At that meeting, whichtook place in Holland, it became abundantly clear that a verysmall number of scientists internationally were using tissue cul-ture in their basic research, but even less were thinking about theuse of tissue culture in routine safety evaluation.
The term alternative is a relatively recent addition to the cam-paign literature of the animal-protection movement. And there isstill widespread disagreement over its precise defmition. Some or-ganizations use the term to refer to only techniques that replacecompletely the use of animals in a particular area, for example, acomputer model to predict LD-50 values.
However, others fbllow the definition developed by Russell andBurch in 1959; they defined an alternative as any technique thatreplaces the use of animals, that reduces the need for animals in aparticular test, or that refmes a technique in order to reduce theamount of suffering endured by the animal.
Thus, use of the up-down method to determine an acute toxicityvalue is an alternative to the classical LD-50 test because fewer
153
150
animals are required. Today, these three Rs replacement, refine-ment, and reduction, represent the common definition of alterna-tives.
Mr. WALGREN. What is the up-down method, I don't know that?Dr. GOLDBERG. It is a methodology where an animal is given a
dose which is thought to approximate the LD-50, if the animal doesnot die, then a higher dose is given by some log unit, or if theanimal dies then a lower dose given to another animal, and byusing somewhere in the neighborhood of 6 to 10 animals one cancome up with an approximate number for that LD-50 value as de-fmed by the classical LD-50.
Mr. WALGREN. Thank you.Dr. GOLDBERG. You are welcome.The alternatives most commonly considered are cell, tissue and
organ culture, computer modeling, and use of minimally invasiveprocedures and end-points that produce less stress. Although moreand more toxicological research is being conducted in vitro, the po-tential of culture methods in toxicological evaluation and hazardassessment is only beginning to now.be utilized and evaluated. Thisis the result of public pressure, the availability of new develop-ments in basic biology, and maybe I should reemphasize that, it isthe availability of new developments in basic biology, and in-creased recognition among scientists of the opportunities that invitro methods provide for risk assessments.
However, the use of tissue methods must be developed and imple-mented cautiously in toxicology testing and hazard assessment. Ob-viously, a single culture cannot mimic the complex interactions ofall celltypes in the body, no matter how exquisite the experimen-tal design. In vivo metabolism may be simulated to some extent,but not completely, and integrating functions such as immune re-actions, and phagocytosis can only approached'at this time.
In addition, culture systems are relatively static and the doses ofthe test chemical reaching the target system and the duration ofcontact may be the same as that which occurs in vivo. Culturemethodology also presents physical problems regarding insolublematerials, stability of compounds, or 13iophysical effects of the testcompounds.
On the other hand, culture technologies have great potentialonce investigators have acquired the background knowledge to askhighly focused and specific questions. The static nature of the cul-ture methods is also an advantage in that the dose and duration ofcontact of a test chemical can be precisely determined.
Far less of the test chemical 1B required for in vitro investiga-tions, therefore, one can easily set up replicate cultures and gener-ate considerably more data in a short period of time.
One of the most exciting aspects of culture methodology in toxi-cology is that one can use human tissue. Such studies have beenlimited in the past because of the difficulty of growing and main-taining differentiated human cell types and culture. But technicalproblems are being steadily overcome.
Important developments in the last years include improvementsin the quality control of the media in which we grow cells and theplastic ware in which grow cells, and improved quality control inthe laboratories where better media formulations for the growth of
151
normal cells that have specialized functions exist. For example,now it is possible to grow cells where the heart cells will continueto contract, and beat.
So these techniques have really ledthat is the new biology thatI referred topreviously have led to new opportunities in tissueculture that were really not available as recently as 4 or 5 yearsago.
Previously, I classified in vitro methodology according to whetherthe approach is empirical, model development, or mechanistic. Iwould just like to emphasize two parts here of the prepared testi-mony.
The empirical approach to the development of methodology isproblematic. The questions asked are generally not focused andcorrelations develop prior to fundamental understanding. Addition-ally, the reliability of predictions using such an approach tends tobe uncertain. Should this be the case in the development of in vitrotoxicological methods, we will unfortunately have provided supple-mentary testing strategies but not replacement testing strategies.
This will leave us with the dilemma attempting to use the invitro methodologies without being able to rely on them.
Model development is another approach which utilizes systemsthat try to mimic the in vivo systems. Generally, the model systemis neither complete nor faithful in all aspects of the system beingmodeled, but it tends to provide useful information if the data arenot overinterpreted.
In those model systems where a single aspect of an an integratedresponse is examined, and the data are interpreted in that singlesystem, this techniqb can provide meaningful inferences for theevaluation of chemical effects.
The mechanistic approach to the development of in vitro method-ologies should be based on a thorough knowledge of the metabo-lism, kinetics, and biology of the system or species to be examined.If the metabolic pathways are understood, or if it is known that theparent compound produces a toxicological insult, then one can de-velop a system to examine the mechanisms by which the chemicalor chemicals work.
That is one can examine the adverse chemical, the adverse chem-ical or physical effects that lead to significant functional loss in thetissue or system. This approach allows the in vitro system to be de-rived from the species under study. It provides a better understand-ing of chemical-biological interaction, and the consequences of thatinteraction.
Once a mechanism has been identified, it may then be possible todevelop appropriate, interpretable, simple and reliable in vitromethodologies for toxicity testing. And it is important that we de-velop interpretable methodology.
From a scientific standpoint, the mechanistic approach is notonly preferable but necessary. In vitro methods will be more ac-ceptable and will develop rapidly when the knowledge base has ad-vanced far enough to permit a focus on mechanisms.
However, this is a goal yet to be achieved and in the interim, wehave to use whole animal approaches and to continue to developother measures which will relay on tissue culture techniques and
5
152
other in vitro methodologies that provide quick reproducible accu-rate methods for the assessment of safety.
Let me emphasize to eliminate animal testing at this time wouldconstitute an abrogation of the toxicologist's responsibility toinsure safety, and will pose a risk to human health that Govern-ment, industry and the public will fmd unacceptable.
If one traces the utilization of tissue culture and toxicity assess-ment, one can see remarkable progress having been made in justthe first few years. The first early approaches to the use of in vitrotesta looked at exclusion of dye as an attempt to measure viabilityand integrity of the cell membrane.
A second level which provided some greater degree of sensitivitylooked at leakage of endogenous constituents of the cell in themedium. Most recently there has been interest in more functionalaspects of the cell with the first attempts looking at the levels ofspecific components, then going to look at the rate of systhesis ofthose components, and most recently to the identification to specif-ic alterations in those components.
These changes in approach, which seem small when described ina few sentences, required quantum leaps in our thinking andequally greater advances in the methodology available to us.
At this stage of the development of these more sophisticated sys-tems, it is necessary to carefully evaluate the reproducibility,transferability and interpretability of the methods in productsafety assessment. Significantly, correlative studies alone will notprovide this information.
A coordinated and highly structured approach to validatingmany methods against each other, against our current methodolo-gy, and against the data available on human experience, will pro-vide us with the next round of tests, this will provide us with anapproach to the utilization of in vitro methodology in productsafety evaluation and risk assessment.
Thank you, and I will be glad to answer any questions.[The prepared statement of Dr. Goldberg follows:]
156
153
Testimony of Alan M. Goldberg, Ph.D. before the Committee on Science and
Technology - May 6th, 1986.
Mr. Chairman and members of the committee, I have been asked to detail
the accomplishments of the Johns Hopkins Center foi Alternatives to
Animal Testing and my feelings about the future of in vitro toxicology.
I am Alan M. Goldberg, Associate Dean for Research at the Johns Hopkins
School of Hygiene and Public Health and Professor and Director of The
Johns Hopkins Center for Alternatives to Animal Testing.
The Center was Established in 1981 by an enabling grant from the
Cosmetic, Toiletries and Fragrance Association, a trade group
representing approximately 200 companies with other major financial
support provided by Bristol-Meyers Company, Exxon Corporation, the
Geraldine R. Dodge Foundation, and Amoco Corporation.
The goal of the Center is to develop and disseminate appropriate basic
scientific knowledge for innovative non-whole animal methods to evaluate
fully the safety of commercial and/or therapeutic products.
The Center AdVisory Board, currently comprising 21 scientists,
establishes policy and conducts a competitive review of investigator
initiated grant applications annually (list of current projects
attached). Grants are generally funded for one year with continuation
funding dependent on results and productivity. Voting members of the
board are drawn from top universities throughout the nation. Leading
scientists from the center's industrial sponsors, government and the
animal welfare movement serve as non-voting melbers. (The membership
roster is attached).
The Center hosts an annual scientific symposium that each year has
established a new landmark in.the development and implementation of
alternatives to animal testing. The first symposium outlined problems
impeding the search for alternatives. The second produced a scientific
154
-2-
consensus on short-term measures that could be taken to reduce animal
use in acute toxicity testing. That consensus led to actions by the
U.S. Food and Drug Administration and the U.S. Environmental Protection
Agency encouraging this development. The third meeting constituted a
progress report on In vitro toxicology, with emphasis on potential
alternatives to the controversial Draize eye test. The fourth
symposium, held on April 14 and 15, 1986,concentrated on validation of
In vitro methods, the final process in securing widespread acceptance of
alternative tests. Proceedings of the symposia form a book series
titled Alternative Methods in Toxicology, published by Mary Ann Liebert
Inc. (157 East 86th Street, New York, N.Y. 10028).
The Center distributes 17,000 copies of its (free) newsletter (copies
attached) to an international readership of scientists, corporate
executives, government officials, animal welfare advocates, members of
the news media and the general public. The eight-page,
three-times-a-year publication presents research results, highlights of
symposia, bibliographies of scientific literature, information about the
Center and serves as a resource for the development of In vitro
toxicology.
The need to assess the safety of commercial and consumer products has
been highlighted during the last several years. Technology and advances
in chemistry have provided UA with the opportunities of new products, of
new formulations and of new entities. /t is widely accepted that in
excess of 100,000 chemical compounds are currently in the market place
for which we have little, if any, data on which to assign risk.
Additionally, the methods that hav, been accepted for the assessment of
toxicity, tests like the LD50 and eye testing in the rabbit are methods
that were introduced about a half a century ago. These tests, although
not required by regulation, have become standard because of history and
tradition.
The increased awareness of potential hazards to chemicals has led to
demand by consumers for more testing, for more effective testing and for
less expensive testing. This demand for increased testing has been
5 8
155
-3-
countered by many in the animal protection dovement for the decreaseduse of animals in testing strategies. The requests from the animal
protection movement confused the issues of basic biomedical research
with routine product safety testing. Additionally, product development
and product screening were again issues that are not clearly understoodby those who are requesting a decrease in animal usage.
Coincidental with societal awareness and the need for product safety are
major developments from the scientific standpoint in terms of providingnew methods and new approaches using a new biology to address these veryreal problems. Cell, organ and tissue culture methodologies, which weredevelopmental in basic biomedical research 15 or 20 years ago, were not
even utilized in toxicological research 10 years ago.
In the late 1970s, a first meeting was held of an international group onthe use of tissue culture in toxicology. At that meeting, it became
abundantly clear that a very small nudber of scientists internationally
were using tissue culture in their basic research, but even less were
thinking about the use of tissue culture in routine safety evaluation.
The term alternative is a relatively recent addition to the campaign
literature of the animal-protection novedant, and there is still
widespread disagreement over its precise definition. Some organizationsuse the term to refer only to techniques that replace completely the useof animals in a particular area, for example, a computer model topredict LD50 values. However, others follow the definition developed byRussell & Burch in 1959; they defined an alternative as.any technique
that replaces the WIG of animals, that reduces the need for animals in a
particular test, or that refines a technique in order.to reduce the
amount of suffering endured by the animal. Thus, use of the up-down
method to determine an acute toxicity value is an alternative to the
classical LD50 test because fewer.animals are required. Today, thesethree Bs represent the common definition of alternatives.
The alternatives most commonly considered are cell, tissue and organ
culture, computer modeling, and the use of minimally invasive procedures
156
-4-
and endpoints that produce less stress. Although more and more
toxicological research is being conducted in vitro, the potential of
culture methods in toxicological evaluation and hazard assessnent IG
only now beginning to be utilized and evaluated. This is the result of
public pressure, the availability of new developments in basic biology,
and increased recognition among scientists of the opportunities in v:tro
methods provide for risk assessment.
However, the use of culture methods must be developed and implemented
cautiously in toxicology testing and hazard assessment. Obviously, a
single culture cannot mimic the complex interactions of all cell types
in tbe body, no matter how exquisite the experimental design. In vivo
metabolism oay be simulated to some extent, but not completely, and
integrating functions such as hormones, immune reactions, and
phagocytosis can only be approached at this time. In addition, culture
system is relatively static and the dose of the test chemical reaching
the target system and the duration of contact may not be the same as
those that occur in the in vivo test. Culture methodology also presents
physical problems regarding the solubility, stability, and biophysical
effects of.the test compound.
On the other hand, culture techniques have great potential once
investigators have acquired the background knowledge to ask highly
focused and specific questions. The static nature of culture methods
is also an advantage in that the dose and duration of contact of a test
chemical can be precisely determined. Far less of the test chemical is
required for in vitro investigations than in in vivo tests. Therefore,
one can easily set up replicate cultures and generate more data in a
shorter time.
One of the most exciting aspects of culture methodology in toxicology is
that one can use human tissue. Such studies have been limited in the
past because of the difficulty of growing and maintaining differentiated
human cell types in culture. But technical problems are being steadily
overcome. Important developments in the last years include improvements
in the quality control of media and the plasticware provided by
157
-5-
manufacturers, improved quality control in the laboratory, better mediaformulations for the growth of normal cells as well as for cells
ekhibiting specialized functions (e.g. heart cell contractility andmelanin production by melanocytes ), and improvements in cell separationand cloning techniques.
Previously, I classified in vitro methodology according to whether the
approach is empirical, modal development, or mechanistic.
The empirical approach to the development of methodology is problematic.The questions asked are generally not focused and correlations develop
prior to fundamental understanding..Additionally, the results tend to
be sqmewhat unpredictable. Should this be the case in the developmentof Lq.v1tro toxicological methods,
we will unfortunately have providedsupplementary testing strategies but not replacement testing strategies.This will leave us with the dilemma of attempting to use the in vitro
methodologies without being able to rely on them.
Modal development utilizes systems that try to mimic in vivo systems.
Generally, the model system is neither complete nor faithful in allaspects of the system being modeled, but it tends to provide useful
information if the data are not averinterpreted. In those model systemswhere single aspect of an integrated response is examined and the dataarm interpreted in that single system, this technique can provide
meaningful inferences for the evaluation of chemical effects.
The mechanistic approach to the development of in vitro methodologies
should be based on a thorough knowledge of the metabolism, kinetics, andbiology of the system or species to be examined. If the metabolic
pathways are understood, or if it is known that the parent compound
produces the toxicological insult, then one can develop a system to
examine the mechanisms by which the chemical(s) work(s). That is, onecan examine the adverse chemical or physical effects that lead to asignificant functional loss in the tissue or system. This approachallows the in vitro system to be derived from the species under study.
It also provides a better understanding of chemical-biological
158
-6-
interaction and the consequences of that interaction. Once a mechanism
has been identified, it may then be possible to develop appropriate,
interpretable, simple and reliable in vitro methodologies for toxicity
testing.
From a scientific viewpoint, the mechanistic approach is not only
preferable but necessary. In vitro methods will be more acceptable and
will develop rapidly when the knowledge base has advanced far enough to
permit a focus on mechanisna. However, this is a goal yet to be
achieved and in the interim, we have to use whole animal approaches and
to continue to develop other measures which will rely on tissue culture
techniques, and other in vitro methodologies that provide quick,
reproducible accurate methods for the assessment of safety.
However, let no emphasize, to eliminate animal testing would constitute
an abrogation of the toxicologist's responsibility to insure safety and
will pose risk to human health that government, industry and the
public will find unacceptable.
If one traces the utilization of tissue culture in toxicity assessment,
one can see remarkable progress having already been made in just the
first few years. The first early approaches to the use of in vitro
tests looked at exclusion of dye as an attempt to measure viability and
integrity of the cell membrane. A second level which provided some
greater degree of sensitivity looked at leakage of endogenous
constituents of the cell into the medium, for example, enzymes. Most
recently there has been interest in mr,re functional aspects of the cell
with the first attempts looking at the levels of specific components
such as proteina, to the next level of advancement by studying the rate
of protein synthesis, and most recently to the identification of
alterations of specific proteins. These changes in approach, which seem
small when described in a few sentences, required quantum leaps in our
thinking and equally great advancesin the methodology available to us.
At this stage of the development of these more sophisticated systems, it
is necessary to carefully evaluate the reproducibility, transferability
159
-7-
and interpretability of the methods in product safety assessment.
Significantly, corral tive studies alone will not provide this
information. A coordinated and highly strueturedi approach to validating
many methods against each other, against our current methodology, and
against the data available on human experience, will provide.us with the
next round of tests which will provide an approach to utilization of in
vitro methodology in product safety evaluation and risk assessment.
Thank you, and I'll be glad to answer any questions.
AMG/ms
160
Mr. WALGREN. Well, thank you very much, Dr. Goldberg.How fast do you see those next steps coming on where you get
validation and--Dr. GOLDBERG. It is a process by whichfor example, in the
Draize test, which is one that has come up several times this morn-ing, the methodology has moved to the point where there are now30 methodologies, or thereabouts, that have been proposed as alter-natives to the Draize test, proposed by those have developed them.Whether they are truly useful or not is yet to be determined.
Those tests have to validated in a highly coordinated fashion.The best estimates that one can have of developing the appropriatemethodology, to transfer that technology to and from the develop-ment lab to a secondary lab, to identifying the specific compoundsthat one has to validate the methodology against, if it is a watersoluble product, like a shampoo, it might be easy to transfer it. It isa grease like an axle grease, it might be much harder to to dealwith that kind of problem.
To do those kinds of things we have estimated that it will takesomewhere in the neighborhood of 4 or 5 years to go through acomplete round of transferring the methodology, getting the lab-oratories set up so that they are all doing all of the same tests, andthen looking at the data that they generate in what is comingknown as the blind trial methodology, so that we have a very clearand precise picture as to what those methods tell us, and what theydon't tell us.
Mr. WALGREN. Are we at the point where we ought be havingsubstantial effort invested governmentally, or through the mecha-nism of a center for alternative testing? We have centers for engi-neering design, and we are putting about $30 million into centersfor engineering design at IsISF. You have a center essentiallyfunded by the
Dr. GOLDBERG. It is private industry and individuals.Mr. WALGREN. Your centerdo you fund individual research atthatDr. GOLDBERG. We fund within. We are really, I think, unique in
that respect. The funds come to Johns Hopkins University, andthen we fund research across both the United States, Europe, andCanada at this point, that will provide us with the best opportuni-ties. We give very small grants out there, in the neighborhood ofaround $20,000 a year.
What has happened is that those grants are seed money, essen-tially, for the individuals to go to the federal system in the com-petitive process that the federal system uses. We use a similar kindof competitive peer review process.
Just three examples, one, .that was referred to today was a grantat Michigan for skin. We funded that project and started it off in1981, 1982 with our first round of funding. They then went to theDepartment of Defense, and have been funded by the Departmentof Defense since then, for considerably more on a yearly basis.
At the University of San Franciso, we funded the development ofan artificial barrier to resemble a penetration, that would allowone to study the penetration of a material through the skin. Wefunded that for one year. During that year that individual gotenough to data and went to the Environmental Protection Agency,
161
and they have been funded through the Environmental ProtectionAgency.Tile center itself has applied to the grant system that Dr. Ra 11referred to in his presentation. So the only thing is that we haveused the funds provided by industry to attempt to develop a largerfunding base through the Federal Government by competitive peerreviewed grants.Mr. WALGREN. How many of your grants go on to get that kindof other source funding, what percentage?Dr. GOLDBERG. We haven't tried at this early stage systematicallycollecting that data. I sat down and wrote those out as the present-ers were doing that as the questions came up. My guess is that weare probably in the neighborhood of most of our people beingfunded by the Federal Government before they ever come to us,and they are doing an additional thing on their Federal grants.Others use that additional thing to go back to the Federal Gov-
ernment; so I really don't have a specific number.Mr. WALGREN. Would it be 70 percent, or thereabouts, that has asort of reinforcing funding mechanism coming out of the FederalGovernment?Dr. Gowszao. It is probably lower than that because we our-selves only refund about 70 percent. So my guess is that the same70 percent would be competitive with the Federal Government, andprobably in the neighborhood of 40 percent, er thereabouts, have
probably attempted at; but that is really a guess.Mr. WALGREN. What is your view of what would happen if youhad a greater focused investment by the Federal Grovernment
through some kind of center of set aside program, or somethinglike that?Dr. GOLDBERG. One of the points that I tried to make, and willtry to make again, is that what this area needs most is very funda-mental research; it is an applied area of using the basic biologythat we generate, and then developing a method from that, and totry to develop the method from scratch is developing it without the
substantial underpinning and solid scientific base that it needs.Mr. WALGREN. And is that the empirical or--Dr. GOLDBERG. That is the empirical approach that I sort of re-ferred to. Others have classified it in jest as one has the carnation
test, where if you took the compound and put it into the carnation,and if the carnation died, the material was toxic. If that gave you100 13ercent correlation, that would be very nice. But you have nofaith in using that test to predict safety for other animals or otherhumans.Mr. WALGREN. So you would certainly favor the multiple small
research grant proposal approach as oppoqed to the large focusedinstitution like the Rockefeller University, in vitro laboratory?Dr. GOLDBERG. Again, that is not thethe Rockefeller Univers.is a laboratory project which is quite good, and th9y have d£I%very nice things in developing alternatives to the Draize eye test. 16is a focused program. I think that is fine.
We have taken a very difFerent approach in trying to develop al-ternatives to other areas, and initially, in fact, in the first threeyears we did not work at all on the Draize eye test as an alterna-tive, only during our fourth year did we begin that activity.
162
Mr. WALGREN. Can you see the impact on FDA of the consensusagreements that were developed in your conference?
Dr. GOLDBERG. There are several levels at which I think I haveseen that. Literally whenever I have spoken to large groups at theFDA or the EPA, there is a very respective audience. I tend to sus-pect that most industries at this point, although I can't confirmthat, where they are submitting data that does not require the LD-50 by regulation, supply data obtained it by, either the limit test,or the by the up-down method. So that has already happened to agreat degree. And that the classical LD-50 is a test that has passedits time and is really not used, except where absolutely required.
iMr. WALGREN. It might not be absolutely required n the ab-stract, but by regulation?
Dr. GOLDBERG. Well, there are certain regulations that I amaware of that do require the LD-50, in the classical sense. Andtheir submissions, I believe, are supplied with the classical LD-50and appropriate number of animals.
Mr. V/ALGREN. Yes.If you were writing those regulations from scratch would you be
requiring the LD-50 in those instances?Dr. GOLDBERG. No, I would not. However, I think I should state
that acute toxicity testing in some way is very necessary. The LD-50 by itself is something that as Dr. Rall, I think, adequately point-ed out, was the first approach at standardization of toxicology,going back approximately 60 years ago, and that tended to hang onin summariness.
Mr. WALGREN. Can you make any reasonable projection at whereyou would expect this area to be in 20 years?
Dr. GOLDBERG. That is a long-term look. I would suspect, within20 years, because of the changes that I have seen over the first 4years, where in vitro methodology will be the first tier of testing,routinely, and that in only very specific areas will animal testingthen follow where additional information is needed. As it is now,compounds, for example, in Draize eye testing are done in tieredways, so that if one knows that the compound is corrosive, it is nolonger, I don't believe, put into a rabbit eye. It is identified as acorrosive.
The same goes on for other areas as well. So that there has beena changing sensitivity instead of just rote focus on standard operat-ing procedures where there is a greater sensitivity in developingapproaches that do minimize pain.
Mr. WALGREN. But if you had in vitro testing as the first tier,very broadly, could you make an estimate of what the economicbenefit or present cost avoided would be in the the, I don't know,the pharmaceutical industry, or whatever industries are involved?
Dr. GOLDBERG. I do not have that kind of data available, nor do Iknow anybody that really does.
Mr. WALGREN. Is it a large number?Dr. GOLDBERG. It is clear that it would be a large number, once
there were good methodologies available. I know that in the area ofteratology testing, whole animal, which is the production of lookingat fetal effects, an animal study, probably costs in the neighbor-hood of $50,000 to $70,000. The current in vitro approach to that,which 18 being developed, which does not give anywhere near the
163
same amount of information but is a very good first tier is aboutone-tenth of that approach; one-tenth of that price. So there isclearly an economic incentive.
Additionally, there are factors like to house animals is very ex-pensive because it is people and it is space, and this becomes muchless in terms of in vitro methodology.
Mr. WALGREN. I wonder if there is some way that an estimatecould be made about the potential avoidable costs, and then thequestion would be to measure whatever our present investment inpursuit of that cost reduction is. Now, I realize it is
Dr. GoLDBERG. You are way outside of my expertise.Mr. WALGREN. I wonder where that might be; it might lie in
OTA maybe?Dr. GcLDBERG. They did have a section on the economic impact.Mr. WALoRrs. It would be interesting.But obviously there is tremendous potential here for change and
you see it moving?Dr. GOLDBERG. I am exceedingly optimistic, but as I probably
came across I am exceedingly cautious. I feel that if we try to im-plement methodology that is really not there, we will actually slowdown the process rather than speed it up, because it will have lostany form of confidence that we can build up by developing differ-ent m:thodology.
Mr. WALGREN. Well, I think it is fair to say that everyone is sen-sitive to that, and that the effort that has mainstream support inthe Congress is one that would not violate that sense of caution,and certainly would look to develop the progress before we movedaway from present efforts that do give assurance and also knowl-edge.
We appreciate your being a resource to us. I want to say againthat this is a sort of a forum for ongoing discussion, and so weexpect a development.
In fact, I am thinking that one question that we didn't ask of Dr.Rallwas it Dr. Rall or Dr. Willett on the plan that Congressasked for that is due in October?
Dr. Willett.Is Dr. Willett still here?Maybe you can come back up, Dr. Willett, if you would?The question is where are we on the plan that the Congress
asked for that is due in October with respect to alternatives andwith respect to training of people to broaden the use of alterna-tives?
Dr. %urn. The implementation plan was formulated and proc-essed. There are several committees in the stage of organization topull the pieces of information that are necessary to really producean adequate respotilie to that requirement.
Mr. WALGREN. IS it a complicated array of committees, or.Dr. %maw. The idea is two, plus the BID directors committee
that was mandated in the section of the law.Mr. WALGREN. BID, what is that?Dr. %urn. The Bureaus, Institutes, and Divisions of NIH were
to have their directors as participants in the committee that was toaid the director of NIH in developing this plan.
164
Mr. WALGREN. Can you tell anything about the initial work ofthose committees?
Dr. WILLgrr. So far it is in process, it is under development,there is nothing thatthere is no product at this point.
Mr. WALGREN. But there will be by October, is that the feeling?Well, we certainly are going to be more than interested in that. I
am sure we will have a hearing right around that time in hopes ofexploring how far you have come on that project.
We hope there will be other developments that we can talkabout. So we would like to encourage you and know that we will becoming along right behind you.
Dr. GOLDBERG. We welcome that.Mr. WALGREN. Dr. Goldberg, thank you for your participation in
this; we look forward to talking to you about it in the future.Dr. GOLDBERG. Thank you very much.[Whereupon, at 12:40 p.m., the hearing adjourned.]
165
APPENDIX
g AM 4UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON, D.C. 20460+4,
MAY - 51986
Mr. Doug WalgrenChairmanSubcommittee on Science,
Research and TechnologyCommittee on Science andTechnology
Suite 2321Rayburn House Office BuildingWashington, D.C. 20515
Dear Mr. Chairman:
We are happy to have an opportunity to respond to yourinquiry of April 24 concerning the use of animal tests by theEnvironmental Protection Agency (EPA) and the progress thathas been made in reducing the use of animals for testing.Each topic will be answered in turn.
This Agency can require toxicological testing under two ofits ztatutes, the Federal Insecticide, Fungicide and RodenticideAct and the Toxic Substances Control Act. As part of ourevaluation of chemicals concerning their potential to producepotential adverse health effects, we like to have data availablefollowing short-term and long-term exposures to the chemical,that is, estimates of acute toxicity and chronic effects.Occasionally, we have information on humans, but most oftenour assessments focus on data from experimental animals. Wesee animal test results as critical elements, because today,there are not many other scientifically acceptable means ofpredicting chemical safety. Even in light of this, we havetaken several steps to decrease the use of animals.
1. Develop Consistent Protocols. Both EPA programa usethe same test protocols for evaluating chemical hazards, and wehave worked with other Federal regulatory agencies to deviseconsistent tests. On the international scene, we have activelycontributed to developing similar toxicological tests withinthe Organization for Economic Cooperation and Development(OECD). In fact, it is the policy of this office to accept
166
-2-
studies done in accordance with OECD protocols, even if theydiffer somewhat from those ueld at EPA. In sum, the adoptionof comparable approaches to toxInological testing results inconsiderable saving of animals both nationally and worldwide.
2. Reduce Numbers of Animals in Tests. In late 1984, EPAannounced revised acute toxicity test guidelines. A three-stepprocess was given. Initially, one reviews existing data onchemicals that are structurally related to the untested compound.In some cases enough information can be gleaned to obviate theneed for any further testing. If not, we specify the use of alimit test, where a small number of animals is given a single,high dose of the chemical. If toxicity is not demonstrated, nofurther testing is needed. Only with those compounds showingtoxicity, do we recommend further examination. In this caseonly three doses of the chemical are tested in small groups ofanimals. All toxic reactions, including death, are carefullyobserved including pathological examination at the end of thestudy. In this way we have maximized the amount of toxicologicalinformation while minimized the number of animals used togenerate that information.
Although we recommend the above acute testing scheme, wediscourage the employment of animals simply for the estimationof the median lethal dose (LD50). This position was clearlyarticulated in our announcement that accompanied the testguidelines and was sent to major toxicology societies, allmajor toxicology testing labs in the U.S. and other interestedparties, including the animal rights groups and governmentagencies.
3. Alternatives to Mammalian Testing. Progress has beenmade in certain areas concerning the use of submammalian animals,cultures of mammalian cells and even plcuts to evaluate potentialhuman health effects. The tests most widely used measurevarious genetic endpoints. They are used to help set prioritiesfor testing chemicals, to evaluate data for carcinogenicity,and to evaluate the potential for heritable effects to futuregenerations. In other cases cell preparations are used tostudy mechanism of toxic action and to evaluate chemical metabolism.
Finally, it is the position of EPA to incorporate testmethods that reduce or replace whole animal testing as soon asthey have been validated and found acceptable by the scientificcommunity. Many different groups are making progress withalternative tests, especially as to possible replacements forthe Draize eye test. We look fordard to the fruits of theseinvestigations.
170
167
-3-
In summary, then, EPA does rely on animal test results tomake projections about public health. However, we have workedwith others around the world to achievc consistent test protocols;we have clarified our position in regards to acute toxicitytesting; and we incorporate alternatives to whole mammaliantesting when they are readied by the scientific community.
Sincerely,
, n A. Moore11,ssistant Administrator
for Pesticidesand Toxic Substances